Search for: "D, Otherwise C. v. C" Results 3861 - 3880 of 4,550
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7 Jun 2010, 8:34 am by Joseph C. McDaniel
(C) A direct transfer of retirement funds from 1 fund or account that is exempt from taxation under section 401, 403, 408, 408A, 414, 457, or 501(a) of the Internal Revenue Code of 1986, under section 401(a)(31) of the Internal Revenue Code of 1986, or otherwise, shall not cease to qualify for exemption under paragraph (3)(C) or subsection (d)(12) by reason of such direct transfer. [read post]
3 Jun 2010, 1:37 pm by Bexis
  Michigan “ha[d] far greater significant contacts” since the plaintiffs lived there and suffered injury there. [read post]
2 Jun 2010, 4:12 am by Mandelman
 Its clients are C-Suite executives, and we don’t do the type of work that our clients want publicized. [read post]
31 May 2010, 6:10 pm by lawmrh
And still others, despite the payment of fees, continue to aver otherwise. [read post]
31 May 2010, 6:00 am by Steven Peck
§§241(d) and 299c-3(c) with FRCP 26(a) No court has yet had occasion to interpret §§241(d) and 299c-3(c) in light of existing Federal law. [read post]
24 May 2010, 11:29 pm by Nathan
But this one had a few choice moments we’d thought we’d share with our readers. [read post]
23 May 2010, 8:31 pm by Hedge Fund Lawyer
Section 204 of the Investment Advisers Act of 1940 (15 U.S.C. 80b–4) is amended— (1) by redesignating subsections (b) and (c) as subsections (c) and (d), respectively; and (2) by inserting after subsection (a) the following: ‘‘(b) RECORDS AND REPORTS OF PRIVATE FUNDS. [read post]
21 May 2010, 8:58 am by Eric Guttag
  Sometimes Judge Newman brings valuable wisdom to an otherwise “mind-numbing” majority opinion. [read post]