Example sentences of "see [unc] [noun sg] " in BNC.

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1 Ensemble Bash also see p12 lunchtime concert
2 " Consideration " for stamp duty purposes may include liabilities which Newco takes over from the vendor ( see s57 Stamp Act 1891 ) .
3 The stampable consideration will be increased by the amount of the liabilities which Target takes over from the transferor company ( see s57 Stamp Act 1891 ) .
4 The disadvantage of using a partnership is that it is an unincorporated business , although tax-neutral mechanisms exist to enable it to be incorporated at a later date ( see s162 Taxation of Chargeable Gains Act 1992 ( " TCGA 1992 " ) and s343 TA 1988 ) .
5 If they are qualifying corporate bonds , the gain that would have arisen had the Target shares been disposed of is calculated , then suspended , and falls into charge on a subsequent disposal of the bonds even if they have by then become valueless ( see s116 TCGA 1992 ) .
6 And which is natural because you know , the very early motor cars were only a sort of toy for the rich as it were and er when it came to you see er grocer 's vans or , or er laundry vans made out of old pr private cars .
7 In general biological activity decr decreases with , with increase in depth so you see er respiration using up this material .
8 See lot lot of these jobs are done by the tide , say you take a ship now what 's been sunk in the river , at low tide they 'll put the wires underneath , make them fast to the ships and when the tide when the t t tide rise out come the ship , and they can take it where they want to .
9 795 ( see ante p. 32D–H ) to which those interested may refer .
10 If the vendor attempts to avoid a balancing charge in respect of an industrial building by granting a long lease at a premium out of the " relevant interest " which he owns , Newco will not be entitled to industrial buildings allowances on the premium ( see s20 Capital Allowances Act 1990 ) .
11 It may therefore be preferable to defer realisation of the loss ( see s18 TCGA 1992 ) .
12 See th history of the union is I mean er but er you know it 's a it 's a process is n't it in in a way the management have are probably really kicking themselves now for what 's happened you know I mean , their li latest statement is er , Well if there had n't been so much ou outside interference I 'm sure we 'd have been able to settle .
13 There 's also this thing which is called agricultural fundamentalism right and the most developing c , most developed countries , most of the population live in urban areas and the they see erm er rural areas as being sort of the backbone of society , sort of the salt of the earth type of element in society that although they do n't participate in themselves would like to maintain right and so even consumers may well be would not want see erm agriculture obliterated from er , from their country right because they like the products that erm that agriculture produces and they think that you can of erm destroying of the agricultural industry would , would pose an unacceptable burden on the fabric of rural society and as a result are quite happy to see protectionism er fo , for that industry .
14 Anybody see erm Quantum Leap last night ?
15 Where assets are transferred between members of the same capital gains tax group , this should not realise any chargeable gain or allowable loss ( see s171 TCGA 1992 ) .
16 There should be no element of double charge when the manager disposes of his shares because the " notional loan " element should not also be liable to capital gains tax ( see s37 TCGA 1992 ) .
17 This is because there will be an opportunity to shelter the resulting " trust gains " from capital gains tax until such time as capital payments are made by the trustees to UK-resident beneficiaries ( see s97 TCGA 1992 ) .
18 Steve Harley ; Hammersmith Odeon : see Rock/Folk Talk show-off …
19 The purpose of this is to reduce the parent company 's chargeable gain , though this mechanism can not be used to create an allowable loss for the parent company ( see s176 TCGA 1992 ) .
20 Gains in respect of which an income tax liability arises will not also fall into the charge to capital gains tax ( see s37(1) TCGA 1992 ) .
21 Where Newco is carrying on a trade and incurs capital expenditure after 9 March 1992 in acquiring user rights to computer software , plant and machinery , capital allowances are available for such expenditure ( see s67A Capital Allowances Act 1990 ) .
22 It is usually argued that the managers do not acquire their Newco shares pursuant to a right conferred on them or an opportunity offered to them by Newco by virtue of their employment ( see s77 Finance Act 1988 ) .
23 Under s179 , which applies to accounting periods ending on or after 1 October 1993 , Target is again treated as disposing of assets acquired intra-group in the preceding six years , but the gain or loss accrues at the beginning of the accounting period in which Target leaves the vendor group ( see s179 TCGA and s89 Finance Act 1993 ) .
24 This charge can be deferred where the shares in Target are distributed to a newly formed company in exchange for the issue of shares in the Newco to management ( see s139 TCGA 1992 ) , instead of being distributed directly to management .
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