Search for: "Matter of Jordan C." Results 281 - 300 of 413
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1 Jun 2011, 9:00 am by McNabb Associates, P.C.
The Treaty’s political offense exception is substantially identical to that contained in several other modern extradition treaties, including the treaty with Jordan, which recently received Senate advice and consent. [read post]
9 May 2018, 9:40 am by John Elwood
On the other hand, the issue is so undeniably important as a practical matter, and the courts are so splintered, that the Supreme Court should do something. [read post]
26 Dec 2018, 5:53 am by Daniel J. Hemel, Eric A. Posner
§1512(c), which makes it a crime to “corruptly” hide physical evidence “or otherwise obstruct[] ... any official proceeding. [read post]
13 Sep 2020, 7:01 am by Sara Plana
However, as summarized by Elizabeth Rosenberg and Jordan Tama, research shows that sanctions “rarely produce capitulation” and are instead better designed for deterring future action. [read post]
12 Oct 2009, 1:42 pm
Specifically, Section 10(b) of the 1933 Act and Rule 10b-5 of the 1934 Act regulate fraud in connection with the purchase or sale of a security. [2] To obtain a conviction under these provisions, it must be proved that: (1)     (a) the defendant engaged in a fraudulent scheme, or (b) made a material misstatement, or (c) omitted material information to one to whom the defendant   … [read post]
9 Oct 2016, 9:46 am by S2KM Limited
" Unfortunately, there is no specific link in the CMS WCMSA Reference Guide to either structured settlement tax law generally or the tax definition for “structured settlement” in IRC 5891(c)(1) or the tax requirements of IRC 130 and 104(a)(1) more specifically. [read post]
10 Mar 2011, 7:50 am by Jordan Furlong
Partly this is a matter of taking advantage of both old and new networks, from specialty bar groups to LinkedIn, and of contributing to communities like the blawgosphere. [read post]
9 Oct 2016, 9:46 am by S2KM Limited
" Unfortunately, there is no specific link in the CMS WCMSA Reference Guide to either structured settlement tax law generally or the tax definition for “structured settlement” in IRC 5891(c)(1) or the tax requirements of IRC 130 and 104(a)(1) more specifically. [read post]
31 Aug 2011, 10:27 am by Badrinath Srinivasan
Finally, it also shows that tribunals may pierce the corporate veil of foreign investors in the context of counterclaims.Managing Disputes Through Contract: Evidence from M&A John C. [read post]
18 Jun 2008, 3:46 pm
Thanks Paul Jordan Furlong, editor-in-chief of the Canadian Bar's chief publication, votes for Paul's option "C:" Ron's Swiftian turn -- Bruce would appreciate the reference to "Madam Smythe" -- seems appropriate to the situation. [read post]