Example sentences of "corporate [prep] " in BNC.

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1 ( g ) ‘ recognised body ’ means a body corporate for the time being recognised by the Council under these Rules as being a suitable body to undertake the provision of professional services such as are provided by individuals practising as solicitors or by multi-national partnerships ;
2 ( 6 ) In this Clause ‘ recognised body ’ means a body corporate for the time being recognised by the Council of the Law Society under section 9 of the AJA and the Rules .
3 ‘ recognised body ’ means a body corporate for the time being recognised by the Council under Section 9 of the AJA and the Rules ;
4 ( 6 ) In this Clause ‘ recognised body ’ means a body corporate for the time being recognised by the Council of the Law Society under section 9 of the AJA and the Rules .
5 ‘ recognised body ’ means a body corporate for the time being recognised by the Council under Section 9 of the AJA and the Rules ;
6 The term includes : ( i ) any income chargeable to income tax by deduction at source or otherwise ( first limb ) and any income which would have been chargeable to income tax if it had been received in the United Kingdom by a person domiciled , resident and ordinarily resident in the United Kingdom ( second limb ) ( s681(1) ( a ) ) ; [ ( ii ) where the amount of the income of any body corporate has been apportioned ( ie shortfalled ) under Schedule 16 to FA 1972 or could have been so apportioned if the body corporate were incorporated and resident in any part of the United Kingdom , so much of the income of the body corporate for that year or period as is equal to the amount which has been or could have been so apportioned to the trustees of or a beneficiary under the settlement ( s681(1) ( b ) ) [ abolished in relation to income of bodies corporate for accounting periods beginning after 31 March 1989 by FA 1989 , Sched 17 , Part V ] ] .
7 The term includes : ( i ) any income chargeable to income tax by deduction at source or otherwise ( first limb ) and any income which would have been chargeable to income tax if it had been received in the United Kingdom by a person domiciled , resident and ordinarily resident in the United Kingdom ( second limb ) ( s681(1) ( a ) ) ; [ ( ii ) where the amount of the income of any body corporate has been apportioned ( ie shortfalled ) under Schedule 16 to FA 1972 or could have been so apportioned if the body corporate were incorporated and resident in any part of the United Kingdom , so much of the income of the body corporate for that year or period as is equal to the amount which has been or could have been so apportioned to the trustees of or a beneficiary under the settlement ( s681(1) ( b ) ) [ abolished in relation to income of bodies corporate for accounting periods beginning after 31 March 1989 by FA 1989 , Sched 17 , Part V ] ] .
8 Head ( ii ) referred to above , ie s681(1) ( b ) , was abolished in relation to income of bodies corporate for accounting periods beginning after 31 March 1989 by the Finance Act 1989 , Sched 17 .
9 Consider one major multi-national corporate of our acquaintance whose IBM-only purchasing policy was recently changed , if only slightly .
10 The UK has decided that UK-registered EEIGs should be treated as bodies corporate with separate legal personalities like companies and should be registered with the Registrar of Companies .
11 The capacity of a body corporate with which the International Tin Council had been bestowed by the English Parliament allowed it to acquire and hold property , and to perform other actions in its own name .
12 Section 13(3) provides that from the date of incorporation , stated in the certificate , the subscribers to the memorandum become a body corporate with the name contained in the memorandum .
13 a body corporate with fewer than 20 members and it , or any of its holding companies or subsidiaries , has share capital or net assets of not less than 5 million ;
14 ‘ He 's very corporate in his approach .
15 ( 3 ) The particular factors referred to above are — ( a ) the nature and scale of the institution 's operations ; and ( b ) the risks inherent in those operations and , if the institution is a body corporate , in the operations of any other body corporate in the same group so far as capable of affecting the institution .
16 Indeed , this benefit has been the over-riding consideration for at least one major corporate in its decision to implement a joint PC and Macintosh strategy .
17 they are bodies corporate in the same group ; or
18 a body corporate in connection with an employee share scheme
19 a body corporate to another body corporate in the same group
20 A person " connected " with a director is defined in s346 Companies Act 1985 and includes a body corporate in which the director and other persons connected with him are interested in at least one-fifth of the nominal value of the equity share capital or control more than one-fifth of the voting power of the company at any general meeting .
21 Perhaps I can say , that what I 'd like to see is N C V O be much more corporate in the way it approaches things , erm , many of you will have seen many of our publications , but , you may not always realise they come from N C V O , sometimes it 's not always easy to see that , you have to search through and , not always find it , and we 've got many different images , so I think it 's important we er get a whole corporate image across .
22 responsible and accountable for our ACTIONS which should be corporate in nature and mindful of the market-place .
23 To help someone develop his individual gifts he needs an understanding of the complementarity of the individual and the corporate within the church , the Body of Christ .
24 FSA does not apply to any transaction between a principal and another person if they are bodies corporate within the same group or the transaction is in connection with a joint enterprise in which they are , or propose to become , participators .
25 excluded if it refers to arrangements between a body corporate and another body corporate within the same group or is in connection with a joint enterprise as noted above
26 Recession has concentrated the minds of car buyers both private and corporate on the economics of running costs .
27 Sale of 75% or more of the shares of a body corporate to a single buyer
28 a body corporate to another body corporate in the same group
29 If a capital sum is paid by the connected body corporate to the settlor then to the extent of the income available in the trust , that capital sum can be taxed as income upon the settlor and the excess of the amount of the capital sum over income for that year can be taxed in subsequent years as income becomes available in the trust .
30 ( a ) Basic charging provision Where : ( i ) a capital sum is paid to the settlor in a year of assessment by any body corporate connected with the settlement in that year ; and ( ii ) an associated payment has been or is made directly or indirectly to that body corporate by the trustees of the settlement the capital sum shall be treated for the purposes of s677 as having been paid to the settlor by the trustees of the settlement .
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