This document is an agreement between Envision Corporation and a client for the outsourcing of administrative services and technology development. Envision will provide services such as financial management, IT services including web hosting, customer support, and development support. Envision will host the client's website and allow Envision to use the site for product resale. The client will pay for services based on the ratio of Envision employees working on the account to total employees, plus overhead costs. Envision will also be compensated separately for additional development work.
This document contains information related to the Construction Industry Payment and Adjudication Act 2012 (CIPAA) of Malaysia. It includes the full text of CIPAA, which aims to facilitate timely payment and provide a mechanism for speedy dispute resolution through adjudication in the construction industry. It also establishes the Kuala Lumpur Regional Centre for Arbitration (KLRCA) as the adjudication authority. The document contains six parts, including the full text of CIPAA, the Construction Industry Payment & Adjudication Regulations 2014, the Construction Industry Payment & Adjudication (Exemption) Order 2014, and the KLRCA Adjudication Rules & Procedure. It provides information on the roles and responsibilities
The document discusses the Construction Industry Payment and Adjudication Act 2012 (CIPAA) in Malaysia, which establishes a statutory adjudication process to resolve payment disputes in the construction industry. CIPAA provides a mandatory, fast-track dispute resolution procedure involving the submission and response of payment claims, notices of adjudication, and adjudicator decisions within strict timeframes. The Act aims to promote prompt payment and cash flow in construction projects through an expedited, binding dispute resolution process.
This document provides APPEA's submission regarding the Mineral and Energy Resources (Common Provisions) Bill 2014 to the Agriculture, Resources and Energy Committee. It discusses key issues and proposed amendments to chapters in the bill relating to dealings, caveats, associated agreements, land access provisions, restricted land, gas emissions, overlapping tenure and incidental coal seam gas. Specifically, it notes the importance of regulations not yet released, potential drafting errors, issues with transitional provisions, land access provisions and notifications, and liability and agreement recording requirements. The submission aims to ensure a world class regulatory framework that encourages economic development and regulatory confidence.
Construction Industry Payment and Adjudication Act 2012 - The Scope and How Does It Work?
- Prepared by Messrs Richard Wee & Yip of No. 21, Jalan Aminuddin Baki, Taman Tun Dr Ismail, 60000 Kuala Lumpur
Declared Services (Section 66E of Finance Act, 1994)Rajat Agrawal
A presentation on Section 66E of Finance Act, 1994 - Declared Services. The presentation was made in an attempt to be simple, yet comprehensive for seminar purposes.
Meaning of the term "Service" in Service tax as per Finance Act, 1994Abhinav Chhabra
A comprehensive analysis of the definition of the term "Service" as per Finance Act, 1994. This presentation will guide about what all are the services that can be liable to service tax subject to other provisions of the Finance Act, 1994.
Declared services and Classification of ServicesCA Gaurav Gupta
The document discusses declared services under service tax law in India. It defines key concepts like service, consideration, activity. It lists various declared services like renting of immovable property, construction services, transfer of intellectual property rights, IT services, agreements to refrain from an act, transfer of goods by hiring/leasing, service portion of works contracts, and service portion related to food supply. Certain renting activities are exempted like renting of residential properties, vacant land for agriculture, and renting by government bodies.
This document contains information related to the Construction Industry Payment and Adjudication Act 2012 (CIPAA) of Malaysia. It includes the full text of CIPAA, which aims to facilitate timely payment and provide a mechanism for speedy dispute resolution through adjudication in the construction industry. It also establishes the Kuala Lumpur Regional Centre for Arbitration (KLRCA) as the adjudication authority. The document contains six parts, including the full text of CIPAA, the Construction Industry Payment & Adjudication Regulations 2014, the Construction Industry Payment & Adjudication (Exemption) Order 2014, and the KLRCA Adjudication Rules & Procedure. It provides information on the roles and responsibilities
The document discusses the Construction Industry Payment and Adjudication Act 2012 (CIPAA) in Malaysia, which establishes a statutory adjudication process to resolve payment disputes in the construction industry. CIPAA provides a mandatory, fast-track dispute resolution procedure involving the submission and response of payment claims, notices of adjudication, and adjudicator decisions within strict timeframes. The Act aims to promote prompt payment and cash flow in construction projects through an expedited, binding dispute resolution process.
This document provides APPEA's submission regarding the Mineral and Energy Resources (Common Provisions) Bill 2014 to the Agriculture, Resources and Energy Committee. It discusses key issues and proposed amendments to chapters in the bill relating to dealings, caveats, associated agreements, land access provisions, restricted land, gas emissions, overlapping tenure and incidental coal seam gas. Specifically, it notes the importance of regulations not yet released, potential drafting errors, issues with transitional provisions, land access provisions and notifications, and liability and agreement recording requirements. The submission aims to ensure a world class regulatory framework that encourages economic development and regulatory confidence.
Construction Industry Payment and Adjudication Act 2012 - The Scope and How Does It Work?
- Prepared by Messrs Richard Wee & Yip of No. 21, Jalan Aminuddin Baki, Taman Tun Dr Ismail, 60000 Kuala Lumpur
Declared Services (Section 66E of Finance Act, 1994)Rajat Agrawal
A presentation on Section 66E of Finance Act, 1994 - Declared Services. The presentation was made in an attempt to be simple, yet comprehensive for seminar purposes.
Meaning of the term "Service" in Service tax as per Finance Act, 1994Abhinav Chhabra
A comprehensive analysis of the definition of the term "Service" as per Finance Act, 1994. This presentation will guide about what all are the services that can be liable to service tax subject to other provisions of the Finance Act, 1994.
Declared services and Classification of ServicesCA Gaurav Gupta
The document discusses declared services under service tax law in India. It defines key concepts like service, consideration, activity. It lists various declared services like renting of immovable property, construction services, transfer of intellectual property rights, IT services, agreements to refrain from an act, transfer of goods by hiring/leasing, service portion of works contracts, and service portion related to food supply. Certain renting activities are exempted like renting of residential properties, vacant land for agriculture, and renting by government bodies.
This document provides an overview of the Construction Industry Payment and Adjudication Act 2012 (CIPAA) in Malaysia. It discusses what CIPAA is, its main objectives to provide timely payment and dispute resolution in the construction industry, and the adjudication process for resolving payment disputes. Key points covered include that adjudication decisions are temporarily binding pending final resolution by arbitration or courts, KLRCA oversees the adjudication process and determines adjudicator standards and fees, and possible impacts of CIPAA include its long time frames compromising timely payment and respondents sometimes being disadvantaged.
This document discusses various aspects of the Value Added Tax (VAT) and CENVAT credit rules in India. It provides details on features of VAT, cascading effects under the current tax system, concept of credit, steps taken towards tax integration, eligibility for credit, inputs and input services eligible for credit, and some case studies related to input services. The key information conveyed is that VAT aims to be a multi-stage indirect tax without cascading effects, while the current tax system leads to inefficiencies due to cascading of taxes. It also explains the concept and importance of cenvat credit for businesses.
This PPT talks about the services rendered outside the Territorial waters and the Service Tax applicability on the same. Under the International Law, recent developments have shown that the territory of a country, for exercising their jurisdictional rights and internal laws, has been extended to the Continental shelf and the Exclusive Economic Zones. But the rights given to the coastal country are limited and restricted. When compared with the previous notification passed by the Central Government, now the service tax will be charged irrespective of the area being designated or non-designated in the EEZ and the Continental shelf. This paper will analyse the implementations of the new amended notification. It will also compare the new notification with the other notifications of the Customs & Excise Act and Income Tax Act for drawing an extent of the applicability of the act to the territory of India, whether or not Service Tax can be charged for an area outside the territorial waters.
The document provides an overview of security of payment claims under the NSW Building and Construction Industry Security of Payment Act 1999. It outlines the key steps if a party is served with a security of payment claim, including serving a payment schedule within 10 days and potential adjudication of the claim if payment is withheld. The summary also details what should be included in payment claims, payment schedules, adjudication applications and responses to adhere to the strict time limits under the Act.
1) The document discusses the topic of service tax in India. It provides details on the basic concept of service tax, its genesis in India, approaches to service taxation, and the meaning of key terms like "service" and "consideration".
2) It examines the negative list of services exempted from service tax under section 66D of the Finance Act, including services provided by the government, Reserve Bank of India, foreign diplomatic missions, and certain agriculture, trading, manufacturing, and transport-related services.
3) The effective rate of service tax in India is currently 12.36% as per section 66B of the Finance Act.
This document provides an overview of Cenvat credit in India. Some key points:
- Cenvat credit allows manufacturers and service providers to claim a credit for excise duties and service taxes paid on inputs. This avoids cascading of taxes.
- Credit can be claimed for duties paid on inputs, capital goods, and input services. The credit is maintained in a common pool and can be used to pay duties on final products or services.
- To claim credit, valid duty payment documents like invoices must be held. Credit can be distributed through mechanisms like input service distributors.
- Only inputs and capital goods directly used for manufacturing taxable final products or providing taxable services are eligible for credit
Reverse Charge Mechanism Under Service Tax Laws Syed Irshad Ali
The document discusses various aspects of the reverse charge mechanism under service tax in India. It defines reverse charge mechanism and explains when it came into effect. It lists 12 services to which reverse charge applies and whether it is full or partial reverse charge. It addresses issues around point of taxation, CENVAT credit, valuation, exemptions and compliance requirements. It provides an example of the accounting treatment and invoice format under reverse charge mechanism.
11-27-13 ORDER GRANTING MOTION TO DISMISS SWAMYRichard Goren
1) This document is a memorandum of decision and order from the Superior Court regarding a motion to dismiss filed by the defendants, AARM Corporation and Gitanjali Swamy, in the civil case Lariviere et al v Aarm Corporation et al.
2) The plaintiffs, David Lariviere and Haftware Corporation, allege various claims including violations of the Wage Act arising from a consulting agreement between Haftware and AARM.
3) The court allows the motion to dismiss as to several counts, finding that the complaint fails to state a claim under the Wage Act because the agreement was between the companies and designated Haftware as an independent contractor, not an employee as required for coverage under the W
The document summarizes the key changes made by the Building Industry Fairness (Security of Payment) and Other Legislation Amendment Act 2020 in Queensland, Australia:
1. It replaces the existing project bank account framework for Queensland government construction projects with a simplified statutory trust regime for payments to subcontractors and retention monies.
2. It increases the Queensland Building and Construction Commission's enforcement powers to monitor compliance with the new project trust requirements and introduces penalties for non-compliance.
3. For all construction contracts in Queensland, it establishes new offenses for principals and contractors who fail to pay certified or adjudicated amounts by the due date, with penalties of up to $13,345 for individuals and $66
The presentation contains the history of Reverse charge machainism from the date from which it was inroduced and the subsequent amendments. We have added all the services covered under Reverse Charge Mechainism till date. For ease of understanding, we have presented every service in the form of chart and diagrams.
1. Reverse charge mechanism in service tax was first introduced in 1997 for goods transport agency and clearing agents services but was struck down by the Supreme Court. It was reintroduced in 2000 and 2003 and upheld by the Supreme Court.
2. The scope of reverse charge was expanded in 2014 to cover 11 additional services including legal services, rent a cab, manpower supply, works contract, and services by non-residents.
3. Under reverse charge, the liability to pay service tax shifts from the service provider to the service recipient. The presentation discusses the implications of reverse charge on invoicing, CENVAT credit availment, and other compliance aspects.
The document summarizes service tax law in India, including key provisions around liability and registration requirements. It outlines that generally the service provider is liable to pay service tax, but section 68(2) allows for reverse charge mechanisms where the service recipient is liable. It provides examples of services where reverse charge applies fully or partially, such as insurance, goods transport, and works contracts. The document also discusses related topics such as applicable tax rates, input tax credit eligibility, and invoice requirements.
Indirect tax latest judicial precedents december 2015Ashish Chaudhary
The document provides a summary of recent indirect tax judicial precedents from December 2015.
Three key cases are summarized:
1. The High Court held that credit of duty paid for installing telecommunication towers is not eligible as the towers are considered immovable property.
2. The High Court dismissed a writ petition claiming film actors should receive the same tax exemption as native artists, finding the two categories are distinct.
3. The High Court held that recovery proceedings cannot be initiated before an adjudication order determines the demand amount.
Presentation on service tax Act 1994, for undergraduate commerce students of Goa University. Includes historical background, year wise tax collection e for last 20 years and procedural aspect of service tax Act 1994 with latest amendments are covered.
The Finance Bill of 2015 introduced changes to India's indirect tax system to rationalize taxes and bring them in line with the proposed Goods and Service Tax. Some key changes include extending the time limit to claim CENVAT credit to 1 year, allowing electronic maintenance of records, exempting ambulance services and reducing service tax on movies, senior citizen insurance, and transport. The service tax rate was increased to 14% and a Swachh Bharat Cess of 2% was introduced on notified taxable services. [END SUMMARY]
- Reverse charge mechanism shifts the liability to pay service tax from the service provider to the service receiver. It applies in cases of services imported from outside India, services provided by individuals/firms to businesses, and certain other notified services.
- Under complete reverse charge, the service receiver assumes full responsibility for tax compliance including registration, tax payment, and return filing. Under partial reverse charge, liability is split between provider and receiver.
- The service receiver must register and comply with all tax obligations for services covered under reverse charge. Point of taxation rules vary for determining tax payment timing between provider and receiver. Demand notices can be issued to both parties in case of tax disputes.
Indirect Taxes is a significant area of professional practice with limited number of professionals well conversant of the law. One such Tax is Service Tax. In India it is a complicated affair and shall remain so till at least GST is introduced. Negative list has brought in a new tax regime. The Cenvat Credit Rules, Place of Provision of Service Rules and the Point of Taxation Rules are important components to understand this law.
This presentation takes you through the basic provisions of Reverse Charge / Joint Charge mechanism introduced w.e.f 1-7-2012. The provisions have wide ramifications as now very few businesses would be able to avoid taking registration with the service tax department.
There are so many changes done by Finance Bill, 2016 in various Act's. Provisions for service tax has also been amended or proposed to be amended. This budget was much awaited because a massive change is awaiting in the form of GST. Looking, to the large number of changes, we have consolidated changes with respect to Service tax in one presentation. Changes are classified according to subject in order to ensure ease of understanding.
IamSMEofIndia E circular- Service tax on reimbursementsIamSME
The document clarifies service tax rules on reimbursements in India. It discusses:
1. Service tax law has existed for over 10 years but recent clarification was needed due to confusion and court cases.
2. Reimbursements for expenses incurred while providing services are now compulsory subject to tax, with some exceptions.
3. For expenses to be exempt as a "pure agent", eight conditions must be satisfied including that the service provider acts only as an agent in procuring goods/services for the recipient.
4. The clarification aims to close loopholes where tax was avoided by splitting contracts into exempt reimbursements and taxable service fees.
This document provides an overview of the Construction Industry Payment and Adjudication Act 2012 (CIPAA) in Malaysia. It discusses what CIPAA is, its main objectives to provide timely payment and dispute resolution in the construction industry, and the adjudication process for resolving payment disputes. Key points covered include that adjudication decisions are temporarily binding pending final resolution by arbitration or courts, KLRCA oversees the adjudication process and determines adjudicator standards and fees, and possible impacts of CIPAA include its long time frames compromising timely payment and respondents sometimes being disadvantaged.
This document discusses various aspects of the Value Added Tax (VAT) and CENVAT credit rules in India. It provides details on features of VAT, cascading effects under the current tax system, concept of credit, steps taken towards tax integration, eligibility for credit, inputs and input services eligible for credit, and some case studies related to input services. The key information conveyed is that VAT aims to be a multi-stage indirect tax without cascading effects, while the current tax system leads to inefficiencies due to cascading of taxes. It also explains the concept and importance of cenvat credit for businesses.
This PPT talks about the services rendered outside the Territorial waters and the Service Tax applicability on the same. Under the International Law, recent developments have shown that the territory of a country, for exercising their jurisdictional rights and internal laws, has been extended to the Continental shelf and the Exclusive Economic Zones. But the rights given to the coastal country are limited and restricted. When compared with the previous notification passed by the Central Government, now the service tax will be charged irrespective of the area being designated or non-designated in the EEZ and the Continental shelf. This paper will analyse the implementations of the new amended notification. It will also compare the new notification with the other notifications of the Customs & Excise Act and Income Tax Act for drawing an extent of the applicability of the act to the territory of India, whether or not Service Tax can be charged for an area outside the territorial waters.
The document provides an overview of security of payment claims under the NSW Building and Construction Industry Security of Payment Act 1999. It outlines the key steps if a party is served with a security of payment claim, including serving a payment schedule within 10 days and potential adjudication of the claim if payment is withheld. The summary also details what should be included in payment claims, payment schedules, adjudication applications and responses to adhere to the strict time limits under the Act.
1) The document discusses the topic of service tax in India. It provides details on the basic concept of service tax, its genesis in India, approaches to service taxation, and the meaning of key terms like "service" and "consideration".
2) It examines the negative list of services exempted from service tax under section 66D of the Finance Act, including services provided by the government, Reserve Bank of India, foreign diplomatic missions, and certain agriculture, trading, manufacturing, and transport-related services.
3) The effective rate of service tax in India is currently 12.36% as per section 66B of the Finance Act.
This document provides an overview of Cenvat credit in India. Some key points:
- Cenvat credit allows manufacturers and service providers to claim a credit for excise duties and service taxes paid on inputs. This avoids cascading of taxes.
- Credit can be claimed for duties paid on inputs, capital goods, and input services. The credit is maintained in a common pool and can be used to pay duties on final products or services.
- To claim credit, valid duty payment documents like invoices must be held. Credit can be distributed through mechanisms like input service distributors.
- Only inputs and capital goods directly used for manufacturing taxable final products or providing taxable services are eligible for credit
Reverse Charge Mechanism Under Service Tax Laws Syed Irshad Ali
The document discusses various aspects of the reverse charge mechanism under service tax in India. It defines reverse charge mechanism and explains when it came into effect. It lists 12 services to which reverse charge applies and whether it is full or partial reverse charge. It addresses issues around point of taxation, CENVAT credit, valuation, exemptions and compliance requirements. It provides an example of the accounting treatment and invoice format under reverse charge mechanism.
11-27-13 ORDER GRANTING MOTION TO DISMISS SWAMYRichard Goren
1) This document is a memorandum of decision and order from the Superior Court regarding a motion to dismiss filed by the defendants, AARM Corporation and Gitanjali Swamy, in the civil case Lariviere et al v Aarm Corporation et al.
2) The plaintiffs, David Lariviere and Haftware Corporation, allege various claims including violations of the Wage Act arising from a consulting agreement between Haftware and AARM.
3) The court allows the motion to dismiss as to several counts, finding that the complaint fails to state a claim under the Wage Act because the agreement was between the companies and designated Haftware as an independent contractor, not an employee as required for coverage under the W
The document summarizes the key changes made by the Building Industry Fairness (Security of Payment) and Other Legislation Amendment Act 2020 in Queensland, Australia:
1. It replaces the existing project bank account framework for Queensland government construction projects with a simplified statutory trust regime for payments to subcontractors and retention monies.
2. It increases the Queensland Building and Construction Commission's enforcement powers to monitor compliance with the new project trust requirements and introduces penalties for non-compliance.
3. For all construction contracts in Queensland, it establishes new offenses for principals and contractors who fail to pay certified or adjudicated amounts by the due date, with penalties of up to $13,345 for individuals and $66
The presentation contains the history of Reverse charge machainism from the date from which it was inroduced and the subsequent amendments. We have added all the services covered under Reverse Charge Mechainism till date. For ease of understanding, we have presented every service in the form of chart and diagrams.
1. Reverse charge mechanism in service tax was first introduced in 1997 for goods transport agency and clearing agents services but was struck down by the Supreme Court. It was reintroduced in 2000 and 2003 and upheld by the Supreme Court.
2. The scope of reverse charge was expanded in 2014 to cover 11 additional services including legal services, rent a cab, manpower supply, works contract, and services by non-residents.
3. Under reverse charge, the liability to pay service tax shifts from the service provider to the service recipient. The presentation discusses the implications of reverse charge on invoicing, CENVAT credit availment, and other compliance aspects.
The document summarizes service tax law in India, including key provisions around liability and registration requirements. It outlines that generally the service provider is liable to pay service tax, but section 68(2) allows for reverse charge mechanisms where the service recipient is liable. It provides examples of services where reverse charge applies fully or partially, such as insurance, goods transport, and works contracts. The document also discusses related topics such as applicable tax rates, input tax credit eligibility, and invoice requirements.
Indirect tax latest judicial precedents december 2015Ashish Chaudhary
The document provides a summary of recent indirect tax judicial precedents from December 2015.
Three key cases are summarized:
1. The High Court held that credit of duty paid for installing telecommunication towers is not eligible as the towers are considered immovable property.
2. The High Court dismissed a writ petition claiming film actors should receive the same tax exemption as native artists, finding the two categories are distinct.
3. The High Court held that recovery proceedings cannot be initiated before an adjudication order determines the demand amount.
Presentation on service tax Act 1994, for undergraduate commerce students of Goa University. Includes historical background, year wise tax collection e for last 20 years and procedural aspect of service tax Act 1994 with latest amendments are covered.
The Finance Bill of 2015 introduced changes to India's indirect tax system to rationalize taxes and bring them in line with the proposed Goods and Service Tax. Some key changes include extending the time limit to claim CENVAT credit to 1 year, allowing electronic maintenance of records, exempting ambulance services and reducing service tax on movies, senior citizen insurance, and transport. The service tax rate was increased to 14% and a Swachh Bharat Cess of 2% was introduced on notified taxable services. [END SUMMARY]
- Reverse charge mechanism shifts the liability to pay service tax from the service provider to the service receiver. It applies in cases of services imported from outside India, services provided by individuals/firms to businesses, and certain other notified services.
- Under complete reverse charge, the service receiver assumes full responsibility for tax compliance including registration, tax payment, and return filing. Under partial reverse charge, liability is split between provider and receiver.
- The service receiver must register and comply with all tax obligations for services covered under reverse charge. Point of taxation rules vary for determining tax payment timing between provider and receiver. Demand notices can be issued to both parties in case of tax disputes.
Indirect Taxes is a significant area of professional practice with limited number of professionals well conversant of the law. One such Tax is Service Tax. In India it is a complicated affair and shall remain so till at least GST is introduced. Negative list has brought in a new tax regime. The Cenvat Credit Rules, Place of Provision of Service Rules and the Point of Taxation Rules are important components to understand this law.
This presentation takes you through the basic provisions of Reverse Charge / Joint Charge mechanism introduced w.e.f 1-7-2012. The provisions have wide ramifications as now very few businesses would be able to avoid taking registration with the service tax department.
There are so many changes done by Finance Bill, 2016 in various Act's. Provisions for service tax has also been amended or proposed to be amended. This budget was much awaited because a massive change is awaiting in the form of GST. Looking, to the large number of changes, we have consolidated changes with respect to Service tax in one presentation. Changes are classified according to subject in order to ensure ease of understanding.
IamSMEofIndia E circular- Service tax on reimbursementsIamSME
The document clarifies service tax rules on reimbursements in India. It discusses:
1. Service tax law has existed for over 10 years but recent clarification was needed due to confusion and court cases.
2. Reimbursements for expenses incurred while providing services are now compulsory subject to tax, with some exceptions.
3. For expenses to be exempt as a "pure agent", eight conditions must be satisfied including that the service provider acts only as an agent in procuring goods/services for the recipient.
4. The clarification aims to close loopholes where tax was avoided by splitting contracts into exempt reimbursements and taxable service fees.
Reinventing Home Telecare Services: Learning Lessons for Japan and Beyondjhalperin
Healthcare organizations must communicate and connect with customers through innovative approaches to be sustainable. Reinventing home telecare services involves localizing technology, services, and responders to better address the needs of aging populations living alone, such as Japan's. This includes customizing in-home devices, response centers, data management, emergency protocols, and non-emergency assistance to provide effective fall detection and response tailored to local conditions and preferences.
The document discusses Siemens' eHighway project, which aims to electrify heavy duty road transport. It notes that heavy duty transport accounts for a large portion of transportation emissions. The eHighway system combines overhead electric lines on roads with hybrid trucks that can receive power from the lines. Siemens has built a test track and is working with truck manufacturers. Potential applications include shuttle transport over short distances, powering vehicles at ports and mines, and long-haul freight transport.
RapidBizApps is a company that builds custom mobile and web applications for enterprises. It has experience partnering with companies like Adobe to build apps leveraging their image processing technologies. RapidBizApps has created apps for various industries including sales kickoff events, field service, knowledge sharing platforms, and healthcare conferences. One client, AutoTrader, praised RapidBizApps for delivering a secure and user-friendly mobile app to support a large sales event. The company focuses on app development for industries like mining, oil and gas, and healthcare.
The document discusses the Urban Renewal Program Aktives Stadtzentrum Turmstrasse in Berlin, Germany which uses participatory democracy to involve citizens. It describes the different levels of administration involved from the neighborhood to federal levels. At the neighborhood level, a coordination office works with citizens' councils and topic-based working groups to give residents a voice in planning. The program aims to build consensus between public authorities, citizen representatives, and local residents through both top-down and bottom-up participation approaches.
Business Sites Gardens as opportunity for Urban Biodiversity ?
Hortense Serret, September 26th
This 3-sentence summary covers the key points:
The document examines business site gardens in the Paris region as an opportunity for urban biodiversity, analyzing their spatial organization, ecological features, and how employees view them. It finds that while they make a small contribution to regional connectivity, some sites are strategically located and local connectivity is high in suburban areas. Field observations show business gardens support a variety of habitats and indigenous plant and animal species, contributing to the conservation and functionality of urban biodiversity.
The document discusses research conducted to create makeup for a trailer depicting a teenage girl's descent into drug addiction through revenge. It summarizes articles on the physical effects of drug use and techniques for applying stage makeup to portray these effects at different stages. It also reviews sources on the psychology of revenge to develop a realistic storyline where the protagonist's drug use escalates as her quest for revenge fails to provide relief or closure.
A European research consortium is working to develop empirical foundations for a new socio-ecological growth model focused on welfare, wealth, and work. The presentation discusses how self-organized commons through collective action, self-governance, and social capital can help cities transition towards sustainability, equity, and efficiency. It examines the role of commons and self-organization in the socio-ecological transition of cities.
myFlicks is a mobile app that aims to be a personalized social movie experience. It allows users to write reviews, create lists, track movies they want to see or have seen, and connect with other users with similar interests. The app goes beyond existing movie apps by incorporating more social features like those on Goodreads for books, making it possible to discuss and review movies more extensively on mobile. The app will be built for Android using APIs from IMDB and technologies like Java, JavaScript, and CSS.
Five European cities - Aberdeen, Ghent, Ludwigsburg, Montreuil, and Rotterdam - participated in a transition management process to develop pathways towards a low carbon future. The process involved understanding each city's current system through interviews, convening transition arenas of diverse change agents to develop long-term visions and agendas, and supporting over 30 transition projects. The arenas empowered participants, improved understanding of sustainability challenges, and sparked new networks and innovations. Key lessons included tapping into existing city dynamics, allowing sufficient time, and elevating knowledge among all involved to better guide transitions towards sustainable cities.
The document evaluates Sigrid Oberg's media magazine project. It discusses how the magazine uses conventions of real magazines through elements like its masthead, fonts, and layout. It also summarizes how the magazine represents its target audience of young music fans through images and language. Additionally, it outlines how an independent publishing company called Blaze could potentially distribute the magazine since it already publishes similar music titles.
The document discusses the structure and function of blood cells and the heart. It notes that blood is made up of plasma and several types of cells, including red blood cells, white blood cells, and platelets. Red blood cells contain hemoglobin and transport oxygen and carbon dioxide. White blood cells help defend the body against infection and foreign materials. Platelets play a role in blood clotting. The document also compares the structure of hearts in fish, reptiles, and humans, noting differences like the number of chambers and whether blood is fully oxygenated.
This document appears to be notes from an agency reflecting on the year 2012 and looking ahead to plans for 2013. It discusses honey and bees that represent clients and work gathered in 2012. It then addresses challenges anticipated in 2013 such as political crisis and decreased budgets. The agency plans to focus on opportunities like political campaigns and CSR, and to diversify into new areas like outsourcing and Islamic brands. It emphasizes the need for strategic planning, training, and internal communication to achieve goals in the challenging year ahead.
A União Europeia está enfrentando desafios sem precedentes devido à pandemia de COVID-19 e à invasão russa da Ucrânia. Isso destacou a necessidade de autonomia estratégica da UE em áreas como energia, defesa e tecnologia digital para garantir sua segurança e prosperidade a longo prazo. A Comissão Europeia propôs novas iniciativas para fortalecer a resiliência econômica e geopolítica do bloco.
This document provides instructions for creating a PowerPoint presentation. It discusses starting PowerPoint, adding slides, typing text on slides, inserting pictures from clipart or files, changing slide design and colors, adding animation effects to objects, and some tips for designing effective presentations. The steps include opening PowerPoint, clicking to add title and subtitle text on the first slide, inserting new slides, searching for and inserting clipart images, resizing and moving pictures on slides, changing the slide design template, separating text into boxes for animation, adding animation effects using the custom animation tool, and reordering or modifying effects.
This document provides context and background about the ancient Chinese military strategy text "The Art of War" by Sun Tzu. It discusses early translations of the text into European languages. It also summarizes the traditional story of how Sun Tzu used 180 concubines to demonstrate his military teachings to the King of Wu. Finally, it examines various historical sources that reference Sun Tzu and debates the precise number of chapters he authored.
Constitution Unit Who Wants to be a Millionairereede49
The document contains 20 multiple choice questions about the U.S. Constitution and government. It tests knowledge on topics like the Bill of Rights, articles of the Constitution, amendments, and other founding documents and concepts. The questions have multiple choice answers and increasing cash prizes for selecting the right answer, with the highest prize being $1 million.
This document is a copyright notice and agreement for professional services between Envision Corporation and a client. It states that Envision holds the copyright to the document and it is illegal to distribute, publish or disclose the document without permission. It then outlines an agreement where Envision will provide professional services to the client, and terms regarding payment, expenses, changes to services, standards of quality, and limitations of liability.
The document is a copyright notice and terms of use that strictly prohibits distributing, publishing, selling, licensing, giving or sharing the product in any form without permission. It states that anyone who violates these terms will be sued in court. It then provides a sample agreement between an owner and contractor for construction work that outlines payment terms, insurance requirements, delays, indemnification, governing law, and signatures.
Sample Web Design Contract - Ferrigon MediaFerrigon Media
This document outlines the terms of a website design contract between a designer and client. It specifies that the designer will provide design services to professional standards, delivering files in formats like PSD and InDesign. It addresses payment terms including invoices within 15 days. It also covers intellectual property rights assignment, confidentiality, termination terms including for breach or bankruptcy, and that the designer retains rights to use deliverables for portfolio purposes.
[INSERT TITLE HERE] 1Homework 3PART IDirections Pleas.docxdanielfoster65629
The document is a license agreement between ABC LLC and XYZ Inc. regarding XYZ's use of ABC's software application called "The Best Software". The summary includes:
1) ABC grants XYZ a non-exclusive license to use the software for internal business purposes only.
2) XYZ agrees to restrictions on how it can use the software and confidential information.
3) ABC will deliver the software via a secure website and may discontinue it if an upgraded version is developed.
4) XYZ agrees to pay ABC $5,000 per month for access and late fees may apply for unpaid amounts.
PART IDirections Please review the License Agreement below .docxodiliagilby
PART I
Directions
: Please review the License Agreement below and answer the questions.
Please apply APA format in text citing, reference list, and double-space.
Limit your word count to 2,000 words.
Please visit the Academic Resource Center for help with APA format.
If applicable, include arguments from each side.
If a criminal case exists, you would present arguments from the prosecutor and the defense attorney.
If it is a civil case, then you would argue as a plaintiff and defense lawyer.
Be sure that your answers respond to the questions.
Do not restate the problem in your answer. Mention the facts where relevant to your analysis. If you are asked for a recommendation, be sure to include one, but do not fail to consider counterarguments.
If your answer depends upon essential information not set forth in the question, state what that information is and how it affects your answer.
If facts are missing in your argument, please state what facts would be pertinent to each party’s case; also list any facts or information that could potentially damage a party’s case.
Read the questions carefully and attempt to answer each directly.
Clear, well-organized, and concise writing will be rewarded.
If there are ambiguities in the questions, discuss the ambiguity and how it impacts your answer.
You may consult your text, lecture notes, or outlines that you have personally prepared.
License Agreement:
License Agreement
This License Agreement is entered into between ABC, LLC, a California limited liability company (“Company”), and XYZ, Inc. a Nevada corporation (“
Customer
”) (collectively, the “Parties,” or individually, a “Party”).
This License Agreement is effective as of the date of last signature (“Effective Date”).
For good and valuable consideration, the receipt and adequacy of which are hereby acknowledged, the Parties agree as follows:
1.
Definitions
Unless the context of a provision herein otherwise requires, words importing the singular shall include the plural and vice-versa.
The words “include,” “includes” or “including” shall mean include without limitation, includes without limitation or including without limitation.
As used in this Agreement (as defined below), the following terms have particular meanings as defined below.
“Agreement”
means this License Agreement, together with all related exhibits, orders and amendments.
“Confidential Information”
means (i) information disclosed by a Party relating to the Services (as defined below), product development strategy and activity, marketing strategy, corporate assessments and strategic plans, either present or future; pricing, financial and statistical information, accounting information, identity of and information regarding the Parties to this Agreement, suppliers, employees, investors, or customers; software, source code, systems, processes, designs, schematics, methods, techniques, algorithms, formulae, inventions, discoveries, policies, guidelin.
This document is a contribution and royalty agreement between Michael Melichar and Alternative Solutions Media LLC. Key points:
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EXCLSUVE LICENSE AGREEMENT (NON TRANSFERABLE RIGHTS) FORMAT
FREE LEGAL AND ACCOUNTANT FORMATS
KANOON KE RAKHWALE INDIA
HIRE LAWYER ONLINE
LAW FIRMS IN DELHI
CA FIRM DELHI
VISIT : https://www.kanoonkerakhwale.com/
VISIT : https://hirelawyeronline.com/
The document outlines terms and conditions for website design services. It defines key terms like Company, Customer, Services, and Deliverables. It specifies that all orders are subject to these terms and conditions. It describes the process for accepting orders and details responsibilities of both parties. The Company reserves rights over materials and content provided. Timelines provided are estimates and the Company is not liable for delays beyond its control.
2007 Sei Handout What Every Business Lawyer Needs To Know About Licensing Dan...David Libby
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- Warranties provided by each party regarding their legal authority. Disclaimers of all other warranties by both parties.
- Indemnification provisions whereby each party will indemnify the other for third party claims regarding intellectual property infringement or other violations relating to their respective responsibilities.
- Limitations of liability stating that
INFORMATION TECHNOLOGY (I.T.) AGREEMENT FORMAT
FREE LEGAL AND ACCOUNTANT FORMATS
KANOON KE RAKHWALE INDIA
HIRE LAWYER ONLINE
LAW FIRMS IN DELHI
CA FIRM DELHI
VISIT : https://www.kanoonkerakhwale.com/
VISIT : https://hirelawyeronline.com/
This document outlines an agreement between a client and consultant for the development of a website. It specifies that the consultant will independently create the site per the client's specifications, gathering content from the client and designing the site subject to the client's approval. It also states that the client will be responsible for domain registration and hosting, while the consultant will assist with uploading the finished site. The agreement does not cover ongoing updates or submission to search engines after initial deployment.
This document discusses key legal aspects of IT contracts, including:
1) IT projects often fail due to unrealistic expectations, poorly defined requirements, or lack of communication and management. Clear contracts can help prevent these issues.
2) Contracts must clearly define intellectual property ownership, as software ownership underlies the industry. There are four main types of intellectual property rights related to software.
3) Effective contracts include provisions addressing confidentiality, warranties, liability, indemnification, termination, and dispute resolution to protect both parties' interests in the project.
The document discusses various issues relating to conditions, warranties, indemnities, and guarantees in technology service agreements. It addresses what constitutes a material adverse change for public and private companies, and appropriate remedies such as allowing the customer to require additional security like a letter of credit. It also outlines terms for warranties regarding quality, software, hardware and intellectual property matters.
This is the user manual of Launch X431 CReader VII+
>> READ MORE: https://www.obdadvisor.com/launch-creader-vii-plus-review/
Here is a detailed review of the scan tool based on my own experience, including:
- Compatibility
- Design and Specification
- Features and Functions
- Pros and Cons
Check it out to get the REVIEW and some NOTES about using this scanner.
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On episode 272 of the Digital and Social Media Sports Podcast, Neil chatted with Brian Fitzsimmons, Director of Licensing and Business Development for Barstool Sports.
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[To download this presentation, visit:
https://www.oeconsulting.com.sg/training-presentations]
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