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L. 94 455 applicable in the case of partnership taxable years beginning after Dec. 31, 1975, see section 213(f) of Pub.
383), which being a case of partnership the injunction was auxiliary for the purpose of preserving the status quo: in the present instance, however, the injunction, so far from being in the nature of ancillary relief, prejudges the whole case.
This, however, was not the fact; it was not a case of partnership, but was strictly one of principal and agent; and it was only because there was the negative covenant that the Court gave effect to it.
; he violated his contract, and was proceeding to employ other agents with a larger discount than 25percentnt ; an injunction was applied for and was granted: it was. said that it was properly granted, because it was a case of partnership.
It was truly said for the Defendants that that was a case of partnership; and it was said, moreover, that Lord Cottenham was mistaken in the case of Dickersen v. Cabburn (2 Phil. 52), when he said that Lord Eldon had not decided Morris v. Colman on the ground of there being a partnership.
In the case of partnership history, we combined information of whether the respondents lived with a partner at the age of 30 and 50 (without considering the marital status), resulting in a four-categorical variable.
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Further difficulties may occur in the case of partnerships between different Local Action Groups, such as disagreement about whether a given factor is a Strength or a Weakness, lack of information about the relationships between Strength and a Weakness factors and decision alternatives, as well as impossibility of ranking the decision alternatives.
There is no one right way to set a direction; the responsibility can fall to the team leader or to someone in the organization outside the team or even to the team itself in the case of partnerships or boards of directors.
This article contributes to the emergent body of knowledge about ethical issues that may arise in the case of partnerships between researchers and decision-makers that are designed to investigate real-life problems in health services.
In the case of a partnership (upper-tier partnership) that receives a partnership distribution from another partnership in which it is a partner (lower-tier partnership) (i.e., a tiered structure described in § 1.1446-5), any 1446 tax that was paid by the lower-tier partnership may be credited by the upper-tier partnership and shall be treated as a distribution under section 1446.
The notice must set forth the name, office address, and identifying number of the partnership or fiduciary making the election, and, in the case of a partnership, must include the name, office address, and identifying number of the general partner submitting the election.
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CEO of Professional Science Editing for Scientists @ prosciediting.com