Example sentences of "the [noun] [verb] [prep] the [noun sg] " in BNC.

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1 The porter pointed to the name printed in the top left-hand corner .
2 Among the activities planned for the evening are continuous guided tours of the exhibition Dynasty : The Royal House of Stewart , an introduction to the Scottish Photography Archive with with a chance to view the current display , and an historic overview of the Queen Street building given by .
3 So the idea of the student as an embryonic researcher turns out to be a metaphor referring , at its best , to just some of the activities employed by the student .
4 Good marketing should permeate all the activities undertaken within the school .
5 The proportion allocated , it says , reflects an assessment of the activities undertaken by the manager in pursuit of the company 's investment objectives .
6 Many of the activities undertaken by the partnership can be provided by a school without using this form of organisation .
7 Under the FSA , investment business means the business of engaging in one or more of the activities specified in the Act in relation to the investments specified in the Act , as long as these activities are not excluded .
8 Two types of behaviour , diet and exercise , dominated the activities proposed as the health promoting behaviour in which older people participated in ( Table 6.6 ) .
9 In intentional torts the defence operates in the form of consent .
10 The defence contained in the proviso applies only to a contravention of subs .
11 Can I also add that it will also instigate centrally determined policing policies , very much akin to other government policies , particularly economic policies which have , as yet , done nothing to address the underlying causes of crime and there are fears and I 'm quoting here from the er the response made by the Association of Metropolitan Authorities , the Association of County Councils and the Association of District Councils that it could lead to a national Police force .
12 The graph on the right reveals that the response depends on the escape .
13 Without this element , there would be no way of excluding planned revenge killings , and the argument is that they should be excluded from the defence because a person who plans a response to an affront or a wrong ought to ensure that the response conforms with the law .
14 All subjects then learned to push a handle ( R1 ) in response to A and to pull it ( R2 ) in response to B. The test phase showed that stimulus C tended to evoke R2 , that is , to evoke the response acquired to the training stimulus that had received equivalent pre-training .
15 Whole strata of the British middle classes lived on the income received in the form of interest and dividends from such investments .
16 It is quite feasible that band members will have contributed to the composition of songs in different amounts , so the income received from the band 's songs is often split to reflect this .
17 It was said that one result of reading the Section as I read it would be this : that Mr Astor would be liable to pay tax in respect of the income received by the trustee in the United States as income deemed to be his ( Part XV ) and also likely to pay tax on the income which the trustee was bound to pay over , the latter being ( within the decision in [ Garland v Archer-Shee ( 1930 ) 15 TC 693 ] ) the income springing from a foreign possession , namely , his right of action against the trustee .
18 Assume that the income generated in the trust by the £100,000 would have been , say , £10,000 and that therefore X , a 40 per cent taxpayer , would have received £6,000 after income tax .
19 For example , some bonds might not pay coupons at all ( such bonds are called zero-coupon bonds , and they sell at a deep discount to their par values since all the reward from holding the bond comes in the form of capital gain rather than income ) ; some bonds make coupon payments that change over time , e.g. because they are linked to current market interest rates ( variable rate bonds or floating rate notes ) or to an index such as the retail price index ( index-linked bonds ) ; and some bonds make coupon payments only if the income generated by the firm that issued the bonds is sufficient , ( such bonds are known as income bonds ; unlike other bond-holders , an income bond-holder can not put the firm into liquidation if a coupon payment is not paid ) .
20 Yeah what about the income going into the house ?
21 There is some support for the proposition that such a loan , if made to a person fully capable of repaying the same and , for instance , charged against property in the United Kingdom , gives the taxpayer minimal benefit from the case of O " Leary v McKinlay [ 1991 ] STC 42 where Vinelott J at p51 , dealing with a Schedule E beneficial loan , stated the following : If an employer lends money to an employee free of interest or at a favourable rate of interest and if the employee is free to exploit the money in any manner he chooses his employment can not be said to have been the source of the income derived from the exploitation ; the employer is the source of the money and the taxpayer is assessable to tax under Sch E on the benefit to him of obtaining the loan on the terms on which the loan was made ; but if the loan is repayable on demand that benefit can not be quantified and form the basis of an assessment under Sch E. It is arguable if property is held by a non-resident trust for A for life and B absolutely that if the trustees lend money to A at interest then if A allows the trustees not to pursue him in his capacity as borrower for the interest that no benefit will arise .
22 The settlor is able to recover the tax paid by him from any trustee or person to whom the income arises under the settlement , subject to crediting any allowance or relief so obtained by the settlor .
23 This account is credited with all the income earned by the company and debited with all the expenditure incurred .
24 In such a policy , the social security system was to play a major role since ‘ the income provided by the scheme to persons who are sick , unemployed , injured or past work will almost invariably be spent to the full . ’
25 The taxpayer is assessed on the income arising to the settlement on a remittance basis .
26 The House of Lords held that when determining the nature of the source of the income arising to the trust one looked through the trust treating the trust for all practical purposes as if it did not exist .
27 the income arising to the trust has a foreign source and therefore had it been received by the beneficiary he would not have borne tax on it ; and 2. the benefit — the payment out by the trustees to the individual — is not received in the United Kingdom .
28 The income arising to the trust can only be taxed under Schedule D , Case IV or V. Payments from the trust can only give rise to a new source under Case V. Those Cases give the taxpayer the benefit of the remittance basis .
29 It should also be noted that in determining the amount of income available up to the end of any year one looks at the aggregate amount of the income arising under the settlement in that year and in any previous year which has not been distributed and one deducts an amount equal to tax at the rate applicable to trusts on the aggregate amount of income , arising under the settlement in the year of payment and any previous year , which has not been distributed .
30 This is an important concession and reads as follows : B18 Payments out of a discretionary trust : entitlement to relief from UK tax under the provisions of the Income Tax Acts or of a double taxation agreement If a payment made by trustees falls to be treated as a net amount in accordance with TA 1988 s.687(2) and the income arising under the trust includes income in respect of which the beneficiary would , if such income came to him directly instead of through trustees , be entitled to relief under the provisions of the Income Tax Acts , eg TA 1988 , s.278 ( claims for personal reliefs by non-residents ) ; TA 1988 s.47 ( claims for exemption from tax on certain UK Government securities held by persons not ordinarily resident in the UK ) ; TA 1988 ss.48 , 123 ( claims for exemption from UK tax on income from overseas securities by persons not resident in the UK ) ; or under the terms of a double taxation agreement , such relief will be granted to the beneficiary on a claim made by him to the extent that the payment is of income which arose to the trustees not earlier than in the year 1973 – 74 and not earlier than six years before the end of the year of assessment in which the payment was made , provided that the trustees have submitted for each year trust returns which are supported by the relevant income tax certificates and which detail all sources of trust income arising and payments made to beneficiaries .
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