Monday, December 30, 2019

Statesman VS Politician Essay - 664 Words

When talking about a person who is trying to run for election in our country, two terms get thrown around loosely, a politician and a statesman. However, there is a difference between the two. A Politician is a leader engaged in civil administration whose main objective is to get elected. Human affairs are not that important to him, he just wants the title. A Statesman however takes interest in human affairs and works for the common good to help people. (http://www.dictionary.com) nbsp;nbsp;nbsp;nbsp;nbsp;George Washington can be defined as a Statesman. Washington always kept the common good for people in mind. When it was time to choose the first president of the United States of America, George Washington was unanimously voted.†¦show more content†¦He was a ruthless politician who cared more for his titiles than about the people of the United States. (Aaron Burr, American Political Leaders) nbsp;nbsp;nbsp;nbsp;nbsp;Alexander Hamilton can be classified as a statesman. Hamilton made many important decisions for the United States that aided in its success as a new country. He helped get the country out of debt and founded the Republican Party. George Washington came to rely heavily on Hamilton’s advice. (Alexander Hamilton, American Political Leaders) Hamilton wanted a government that rested more on the people’s shoulders than the state legislators. He meant that he wanted a government that was more influenced by the people of the United States, rather than a government that only went by the State Legislators. He wanted the citizens to benefit from the actions of the government. (http://www.law.umkc.edu/faculty/projects/ftrials/burr/HamiltonBio.htm) nbsp;nbsp;nbsp;nbsp;nbsp;Thomas Jefferson is said to be statesman. He was a modest man about the positions he held, but all of his actions were for the common good of the people. Jefferson suggested a law to the state legislature saying that all men should be free to have their own religious beliefs. He also believed that slavery was wrong, every person had the right to be free no matter what his or her race or ability may be.Show MoreRelated Politician vs. Statesman Essay672 Words   |  3 Pagesnbsp;nbsp;nbsp;nbsp;nbsp;Politician and statesman are two terms that are used to define a political individual, and usually collaborate in their meanings. Many times, these two works can be used as synonyms when describing an individual, but they do have their subtle differences. Both a politician and a statesman are defined as â€Å"man who is a leader in national or international affairs† or â€Å"a man who is a respected leader in a given field† (http://dictionary.reference .com/search?q=statesman / http://dictionaryRead MoreUnited States Vs Cologo803 Words   |  4 PagesJuan Segura Prof. Sara Parrot INTD: Going Global 11/12/17 Political parties in the United States Vs. Colombia Democratic Party: The Democratic Party is considered a liberal party, has also been described by academics, politicians and even the American general public as progressive and center-left. However, the reality is that it is a party with an ideological divergence with different ideological sectors as the conservative center-right, through the center, classical liberalism, social liberalismRead MoreCritical Reflection on the Hidden Influence of the British Monarchy on Politics1336 Words   |  6 PagesIntroduction When someone becomes a member of the Parliament, he has to swear an oath of allegiance to the Crown, instead of swearing loyalty to the people who elected him. If he rejects to do so, that politician will not be able to take his seat and can also be fined. Same happens with judges and other public servants in the United Kingdom, who are, even if symbolically, servants of the Crown. This, however, is just a small visible end of the real power that the British –constitutional- monarchyRead MoreJackie Robison vs Ali Essay1640 Words   |  7 Pagesworked for black enterprises projects, serving as a founder of the Freedom National Bank in Harlem. Although Jackie Robinson supported civil rights and was doing things to end segregation, it just wouldn’t end, he had gotten into politics involving politicians such as H. Humphrey, President Nixon, President John F. Kennedy, and Nelson Rockefeller. Jackie Robinson has supported H. Humphrey because of his apparent commitment to the civil rights movement. Robinson also supported Nixon in his election againstRead MoreKangxi vs. Louis Xiv- Absolutism Essay examples965 Words   |  4 PagesKangxi vs. Louis XIV- Absolutism Absolute monarchy or absolutism means that the sovereign power or ultimate authority in the state rested in the hands of a king who claimed to rule by divine right. Kangxi and Louis XIV were both shining examples for absolutist rule. Age of Absolutism  was between 1610 and 1789. Absolutism is a term used to depict a type of monarchical power that was not at all restrained by institutions, for example, legislatures, social elites, or churches. Both KangxiRead MoreAnalysis Of The Article Of Rutabagas And Redeemers Rethinking The Texas Constitution Of 18761409 Words   |  6 Pagesto contemporary accounts of convention delegates taken at face value, as well as the use of dubious period sources including sensationalist accounts of the voting habits of agrarian inclined convention participants in the Austin Daily Democratic Statesman newspaper. Williams concedes, however, that this view of the power of the agrarian voting bloc amongst the Democratic Party at the convention is not completely unfounded. Of the Democrats at the convention, over 40% acknowledged an affiliation withRead MoreThe Doctrine Of The United States Essay1598 Words   |  7 Pagesresidents claims against the Spanish government up to a total of $5 million and relinquishing its own claims on parts of Texas west of the Sabine River and other Spanish areas under the terms of the Louisiana Purchase. 1824 Election John Quincy Adams vs. Andrew Jackson (and William H. Crawford and Henry Clay); John Quincy is elected by decision of the House of Representatives; only election in which the presidency had to be decided by the House because no candidate received a majority of electoralRead MoreThe Benefits Of Free Trade1436 Words   |  6 PagesAGREEMENT: [FINAL Edition]’, Austin American Statesman, A9, viewed 27 August 2013, ProQuest Central, 256476089. Resources Mind the gap: benefits from free trade haven t quite gone the distance (AUS vs US) Read more: http://www.smh.com.au/federal-politics/political-opinion/mind-the-gap-benefits-from-free-trade-havent-quite-gone-the-distance-20100302-pg6p.html#ixzz2dYYwuijg Skilled Workers Mount Opposition To Free Trade, Swaying Politicians (Ã¥ · ¥Ã¤ ½Å"æ µ Ã¥ ¤ ±) http://online.wsj.com/article/0,,SB106574731540500800Read MoreTheories of State: Plato and Kautilya2779 Words   |  12 Pages Plato’s Theory of an Ideal State Kautilya’s Saptanga Theory of State Plato vs. Kautilya- A Comparison Conclusion References Read MoreHamlet vs Othello1907 Words   |  8 PagesHow the protagonists deal with their difficulties: Hamlet vs Othello In William Shakespeare Hamlet and Othello, the author creates two similar yet vastly different protagonists. The major source of contrast lies within each characters approach to decision making and premeditated action. As David Nichol Smith puts it, Hamlet â€Å"is not a character marked by strength of will or even passion, but by refinement of thought and sentiment.†(Smith 288) This very refinement of thought is what characterizes

Sunday, December 22, 2019

The Creative Side Of The Media - 1485 Words

Media production is the means of creating professional and authentic media that caters for the fields of education, entertainment and information. When this type of information is created in an authentic and professional manner, that reaches a wide audience and also creates awareness amongst masses, it is called media production. There are several fields and careers in media production. Forms of media include periodicals such as magazines and newspapers, radio, television, films, books, visual arts, music, photography, video games and online content, or new media. The creative side of the media incorporates the professionals like musicians, directors, scriptwriters etc however in research side they have photojournalists, documentarians and†¦show more content†¦Since a lot of people have started taking interests in social media sites like YouTube and Twitter etc, they generally have a lot to offer to their followers. If a person has a YouTube channel related to his field of i nterest, he will try to post videos related to that thing more often than any other source provider does. Often people who have got little or no credentials to their names, or have no designations or titles, tend to follow their passions and interests through these freelance media outlets. In UK for instance, people have to get subscriptions related to their favorite tv shows and channels, and that costs them a heavy amount. Because if they want to watch news or sports, they will have to subscribe to a lot of channels and pay subscription money for the channels of their interest since it is all charged for. Since the penetration of internet, people get all their information and media coverage at cheap rates. If they want to watch Man Utd play for instance, they don’t necessarily need to take a subscription of their channel; they can watch it online for free. Like there are a lot of streaming links available too. If they miss a match they can watch highlights for free etc. An d as far as news is concerned, we often come across people posting handmade videos of some important events, like a celebrity wardrobe malfunction or paparazzi action (Kevin, 2011). Moreover, these things are gripping and they catch the eye of the audience, and

Saturday, December 14, 2019

Digital Fortress Chapter 42 Free Essays

Inside Node 3, Susan caught herself pacing frantically. She wished she’d exposed Hale when she’d had the chance. Hale sat at his terminal. We will write a custom essay sample on Digital Fortress Chapter 42 or any similar topic only for you Order Now â€Å"Stress is a killer, Sue. Something you want to get off your chest?† Susan forced herself to sit. She had thought Strathmore would be off the phone by now and return to speak to her, but he was nowhere to be seen. Susan tried to keep calm. She gazed at her computer screen. The tracer was still running-for the second time. It was immaterial now. Susan knew whose address it would return: [email protected] Susan gazed up toward Strathmore’s workstation and knew she couldn’t wait any longer. It was time to interrupt the commander’s phone call. She stood and headed for the door. Hale seemed suddenly uneasy, apparently noticing Susan’s odd behavior. He strode quickly across the room and beat her to the door. He folded his arms and blocked her exit. â€Å"Tell me what’s going on,† he demanded. â€Å"There’s something going on here today. What is it?† â€Å"Let me out,† Susan said as evenly as possible, feeling a sudden twinge of danger. â€Å"Come on,† Hale pressed. â€Å"Strathmore practically fired Chartrukian for doing his job. What’s going on inside TRANSLTR? We don’t have any diagnostics that run eighteen hours. That’s bullshit, and you know it. Tell me what’s going on.† Susan’s eyes narrowed. You know damn well what’s going on! â€Å"Back off, Greg,† she demanded. â€Å"I need to use the bathroom.† Hale smirked. He waited a long moment and then stepped aside. â€Å"Sorry Sue. Just flirting.† Susan pushed by him and left Node 3. As she passed the glass wall, she sensed Hale’s eyes boring into her from the other side. Reluctantly, she circled toward the bathrooms. She would have to make a detour before visiting the Commander. Greg Hale could suspect nothing. How to cite Digital Fortress Chapter 42, Essay examples

Friday, December 6, 2019

Income Tax Implications for ABC Ltd-Free-Samples for Students

Question: Advise ABC Ltd, Peter and his wife of the Australian taxation issues arising from the above fact situation. Reference should be made to appropriate legislation, case law and rulings. Calculations are not required. Answer: Issue: The existing issue is based on determining the income tax implications for ABC Ltd, Peter and his wife. The issue is determines whether ABC Ltd, Peter and his wife would be considered as an Australian resident for income tax purpose. Rule: The taxation ruling of TR 2017/D2 determines whether a company will be considered as occupant or a inhabitant of Australia under the central management and control test of residency. According to the Taxation ruling of TR 2017/D2 a corporation will be company will be held as an Australian inhabitant if it performs the trade in Australia and has the central organization and control situated in Australia (Woellner et al. 2016). The ruling defines that to consider a company as the Australian inhabitant under the central administration and control test, the corporation should carry on the trade in Australia. On noticing that if the corporation has the central organization and governance situated in Australia and it is carrying on the trade, it would be carrying on the trade in Australian inside the denotation of the central organisation and regulatory test of residency. The ruling also defines the nature of the companys activities and the business which defines the types of acts and decisions are exercised as the central organisation and regulatory of the corporation. According to the taxation ruling of TR 2017/D2 it identifies who exercises the central management and control (Robin and Barkoczy 2018). The ruling provides the question of fact to consider is where the central control of the company is situated. The federal court in Federal Commissioner of Taxation v Malayan Shipping Co Ltd (1946) stated that if the actual high level judgement procedure are executed in Australia or where the monitoring of the inclusive business performance occurs in Australia the company will be considered as the Australian resident. Referring to Bywater Investment Ltd Ors v Federal Commissioner of Taxation (2016) the high court in its judgement held that the appellants were considered as Australian resident for income tax purpose during the relevant years and would be held liable to tax in Australia (Barkoczy 2016.). The judge in its verdict held that the central management and control of every applicant was located in Australia in respect of section 6 (1) of the ITAA 1997. Therefore, each of the appellant would therefore be considered for income tax purpose as the Australian resident. Section 6-5 (2) of the ITAA 1997 defines that an individual who is a occupant of Australia will be held for taxation on their ordinary source of income and statutory source of income (Zummo, McCredie and Sadiq 2017). Under the domicile test section 995-1 of the ITAA 1997 defines resident or the resident of Australia if the person who has been residing in Australia and includes an individual that has their domicile in Australia will be regarded as Australian resident (Cao et al. 2015). An exemption to the law is that an individual may not be held as occupant of Australia unless is it recognised that a persons perpetual place of residence is out of Australia. The taxation ruling of IT 2650 ascertains whether the individual has the perpetual place of residence out of Australia. The ruling is usually applied on those individuals that more overseas but does not change their domicile (Tan, Braithwaite and Reinhart 2016). The court of law in Jenkins v Federal Commissioner of Taxation (1982) held that an individuals estimated and the real span of stay in the foreign nation along with the purpose to live in the foreign state either permanently or temporary is a question of fact. Another instances of Applegate v Federal Commissioner of Taxation (1979) where the court of law stated that permanent does not represents everlasting or forever and it is measured objectively every year (Braithwaite 2017). The taxpayer was found to have the perpetual place of residence out of Australia however the taxpayer returned to Australia after being ill. In the context of the current case, it is illusory to take account of whether an individual has developed the intent of living or residing or having a perpetual place of residence out of Australia forever without the purpose of ever coming back to Australia in the probable future. Perhaps an important matter of fact is whether a person has abandoned any dwelling or place of residence he or she may have held in Australia. An Australian occupant are usually taxed based on their wide-reaching source of revenue. The federal court in FCT v French (1957) defined service where the performance of service takes place (Saad 2014). Section 6-5 of the ITAA 1936 states that income from private exertion represents proceeds from salaries, wages, fees etc. in respect to any service given or the proceeds of any trade performed on by taxpayer. Application: As evident from the current case study ABC Ltd in spite of being incorporated in Hong Kong carried the central management and control operations from Australia. The majority of board of directors were residing in Australia and conducted meeting on monthly basis to management the corporate affairs and policy of the company. ABC Ltd will considered as Australian resident company. Evidences obtained from the case study suggest that ABC Ltd has the central organization and control situated in Australia and it is executing the business in Australia. The board of directors exercises the over-all and business affairs to give direction to the company operation in Australia. Additionally it has been found that Peter who is Australian resident was hired to make decisions of the companys operations and decide to do things in the best interest of the company. The board of directors are also found to be setting the policy on the disposal of trading stock of company which implies the acts of central management and control in Australia. Citing the reference of Federal Commissioner of Taxation v Malayan Shipping Co Ltd (1946) the actual high level decision process of ABC Ltd are made in Australia. The nature of ABC Ltd activities and business suggest that monitoring of the overall corporate performance occurs in Australia. Considering the example of Bywater Investment Ltd Ors v Federal Commissioner of Taxation (2016) ABC Ltd and its directors will be considered as Australian resident for income tax purpose during the relevant years and would be held liable to tax in Australia (Miller and Oats 2016). The central administration and control of ABC Ltd was situated in Australia in respect of section 6 (1) of the ITAA 1997. Therefore, each of the board of directors would therefore be considered for income tax purpose as the Australian residents since corporate policy of the company was continuously made by the board of directors in Sydney. On the other hand, to determine the residency of Peter, Domicile Test is conducted in respect to Domicile Act 1982. Evidences obtained suggest that Peter had the permanent place of abode in Australia prior to moving Brunei on a two year work contract with ABC Ltd. Though Peter was offered with the extension of one year on his contractual agreement but later it was found that he rejected the possible extension and returned to Melbourne after the end of contract with his wife and children. With reference to Taxation ruling IT 2650, under section 995-1 Peter retained the domicile of his origin and will be considered as the Australian resident under the Domicile Test. This is because Peter did not had the intention of staying in Brunei or setting a permanent place of residence out of Australia. During his absence his house in Melbourne was rented out and received the interest money in his Australian bank account. Citing the reference of Applegate v Federal Commissioner of Taxation (1979) the taxpayer was found to have the permanent place of abode in Australia (Blakelock and King 2017). More importantly Peter did not abandoned any dwelling or place of residence he had in Australia. Considering the example of Jenkins v Federal Commissioner of Taxation (1982) Peter also expressed that he does not have any intention to stay in the overseas country since he rejected the extension of contract with ABC Ltd (Chardon, Brimble and Freudenberg 2017). Therefore Peter has met the criteria of Domicile Test and will be considered as an Australian resident. Evidence suggest that Peter derived income from rental property, salaries and dividends from investment and also received dividends from his investment. Upon his return to Melbourne started the business of practicing accountant and received fees. The receipt of fees and other sources of income by Peter was considered as the income from personal exertion which is held assessable under section 6-5 of the ITAA 1936 (Pinto, Kendall and Sadiq 2015). Referring to FCT v French (1957) the receipts of fees by Peter constituted business income that was carried on by the taxpayer will be considered taxable under section 6-5 of the ITAA 1936. Conclusion: On a conclusive note, ABC Ltd will be considered as an Australian resident company since the central management and control was situated in Sydney. Additionally, Peter and his wife will be regarded as the Australian resident under the section 995-1 as Peter has satisfied the criteria of Domicile test. The income derived by peter from various sources will be included in his taxable income under section 6-5 of the ITAA 1997 as the income derived from personal exertion. Reference List: Barkoczy, S., 2016. Foundations of taxation law 2016.OUP Catalogue. Blakelock, S. and King, P., 2017. Taxation law: The advance of ATO data matching.Proctor, The,37(6), p.18. Braithwaite, V. ed., 2017.Taxing democracy: Understanding tax avoidance and evasion. Routledge. Cao, L., Hosking, A., Kouparitsas, M., Mullaly, D., Rimmer, X., Shi, Q., Stark, W. and Wende, S., 2015. Understanding the economy-wide efficiency and incidence of major Australian taxes.Canberra: Treasury working paper,2001. Chardon, T., Brimble, M. and Freudenberg, B., 2017. Tax and superannuation literacy: Australian and New Zealand perspectives [Part 1].Taxation Today, (102), pp.17-25. Miller, A. and Oats, L., 2016.Principles of international taxation. Bloomsbury Publishing. Pinto, D., Kendall, K. and Sadiq, K., 2015.Fundamental Tax Legislation. Thomson Reuters. ROBIN BARKOCZY WOELLNER (STEPHEN MURPHY, SHIRLEY ET AL.), 2018.AUSTRALIAN TAXATION LAW 2018. OXFORD University Press. Saad, N., 2014. Tax knowledge, tax complexity and tax compliance: Taxpayers view.Procedia-Social and Behavioral Sciences,109, pp.1069-1075. Tan, L.M., Braithwaite, V. and Reinhart, M., 2016. Why do small business taxpayers stay with their practitioners? Trust, competence and aggressive advice.International Small Business Journal,34(3), pp.329-344. Woellner, R., Barkoczy, S., Murphy, S., Evans, C. and Pinto, D., 2016. Australian Taxation Law 2016.OUP Catalogue. Zummo, H., McCredie, B. and Sadiq, K., 2017. Addressing aggressive tax planning through mandatory corporate tax disclosures: An exploratory case study.eJournal of Tax Research,15(2), pp.359-383.