Example sentences of "[prep] [art] [noun pl] of [no cls] " in BNC.

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1 FIG. 4 Secondary structure assignments for the residues of GH5 .
2 The slack variables for the constraints of LP* ( 2 , 0 , 0 ) corresponding to objective functions of P1 are all zero ( by definition ) .
3 All theoretical treatments of the quantised Hall effect proposed so far require there to be no dissipative scattering if they are to account for the values of h/Ne 2 at the plateaux .
4 Fig. 6.6 shows the theoretical curve for the values of p(0) to p(7) , taken from Table 6. 1 , plotted against equivalent curves for the following techniques :
5 ‘ L'histoire totale ’ is , for the members of Annales , in part the history of all sorts and conditions of men and women : of merchants and artisans , peasants and beggars , nurses and midwives , as well as ministers and aristocrats .
6 Note also that a person domiciled in the Channel Islands can benefit from owning the assets specified in s6(3) by virtue of s267(2) although the relief in s48(4) only applies for the purposes of s6(2) and not for the purpose of s6(3) .
7 This assumes that the period of Newco 's ownership of shares in Target would be sufficiently short for there to have been no increase in their value , so that when the capital distribution takes place , there is no capital gains tax liability on the partners under s122 TCGA 1992 , nor a distribution for the purposes of s209 TA 1988 .
8 " Associated operations " is defined for the purposes of s739 ( and s740 ) in s742(1) and means , in relation to any transfer , an operation of any kind effected by any person in relation to any of the assets transferred or any assets representing , whether directly or indirectly , any of the assets transferred , or to the income arising from any such assets , or to any assets representing , whether directly or indirectly , the accumulations of income arising from any such assets .
9 Section 742 states that an individual shall be deemed to have power to enjoy the income for the purposes of s739 if he comes within one or more of the following heads : ( a ) To enure for benefit The income is in fact so dealt with by any person as to be calculated , at some point of time and whether in the form of income or not , to enure for the benefit of the individual .
10 Section 743(5) states that in any case where an individual has for the purposes of s739 power to enjoy income of a person abroad by reason of his receiving a benefit from the trust ( hence giving rise to a tax charge under TA 1988 , s742(2) ( c ) ) , the individual shall be chargeable to income tax under s739 for the year of assessment in which the benefit is received .
11 If an overseas company invests in shares and the structure is caught by s739 then the entire dividend comprises the income for the purposes of s739 and it is not possible to deduct in computing the chargeable income revenue expenses such as investment advisory fees , management fees , safe keeping charges , security handling fees and bank charges and registered and executive office fees .
12 Er , my Lord er I my observations on that issue at this point be that erm it seems to be the defence case that for the purposes of er the defendants avoiding a duty to advise the plaintiffs as to the need for clear financial offers their terms from the bank , Mr was an experienced man of business and er had considerable financial acumen for the purposes of considering er whether under the banks original proposal for finance he would have been successful , they would be trading as a financial disaster .
13 ( 10 ) Similarly , although the requirements of fairness under the Code and CA 1985 , s459 do not necessarily coincide , the Code is a helpful guide to the City 's views on fairness which the court can take into account when deciding whether a shareholder has been unfairly prejudiced for the purposes of s459 ( see Re a Company [ 1986 ] BCLC 382 ) .
14 For the purposes of s740 the individual who must be ordinarily resident ( and the author would suggest also resident in the case of overseas source income but that is an arguable point ) in the United Kingdom must receive a benefit .
15 One is likely to get guidance as to the meaning of received in the United Kingdom for these purposes from the cases on Schedule D , Cases IV and V. In addition , the second limb of s740(5) states that s65(6)– ( 9 ) shall apply for the purposes of s740 as they would apply for the purposes of s65(5) if the benefit were income arising from possessions outside the United Kingdom .
16 The operation of the usual " ratchet " provisions attaching to management 's ordinary shares , whereby the percentage holding of Newco conferred by their shares , or the value of those shares , will automatically increase in accordance with profitability or performance targets of the underlying business , will not usually constitute a " chargeable event " for the purposes of s78 .
17 One is likely to get guidance as to the meaning of received in the United Kingdom for these purposes from the cases on Schedule D , Cases IV and V. In addition , the second limb of s740(5) states that s65(6)– ( 9 ) shall apply for the purposes of s740 as they would apply for the purposes of s65(5) if the benefit were income arising from possessions outside the United Kingdom .
18 Nevertheless , there are some important differences which attach to the categorisation of the transaction as a contract of hire : ( 1 ) The hirer is not a person who has " agreed to buy " for the purposes of s9 of the FA 1889 .
19 There is also authority for the proposition that for the purposes of s.5(1) a copyright owner does not have a proprietary interest in the item copied : Storrow [ 1983 ] Crim LR 332 .
20 In addition , for the purposes of ss2 , 5 , 6 and 7 , " terms and notices which exclude or restrict the relevant obligation or duty " are subject to the same control as clauses which exclude or restrict liability .
21 A repayment of a loan made by the settlor to the trustees can amount to the payment of a capital sum for the purposes of s677 ( TA 1988 , s677(9) ( a ) ( i ) ) .
22 ( 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 .
23 The disclaimer in Smith v Bush , which purported to prevent any duty of care arising was therefore caught by s13 ; however , that part of s13 does not apply to s3 , so that a clause which prevents a duty arising is not necessarily an exclusion for the purposes of s3 .
24 It must be remembered that a clause which restricts or excludes an obligation or duty is not an exclusion clause for the purposes of s3 .
25 For example , Mr X gives property to Mr Z who holds it absolutely for the infant unmarried son of Mr X. That is a transfer of an asset and a settlement for the purposes of ss663 and 664 ( although the Revenue may not apply ss663 where the income is not paid to the infant ) .
26 The latter provision ( s664 ) will deem the income to have been paid to the children of the settlor for the purposes of s663 ( IRC v Lord Delamere ( 1939 ) 22 TC 525 and Eastwood v IRC ( 1943 ) 25 TC 100 ) .
27 Where the tenancy in question is one to which Part II of the Landlord and Tenant Act 1954 applies , it is often convenient if the minimum period of notice is six months and the form of the notice is capable of being that prescribed for the purposes of s25 of that Act .
28 Section 1(4) stated that in deducing any relationship for the purposes of s1(3) any relationship by affinity is to be treated as a relationship by consanguinity , any relationship of the half-blood is to be treated as a relationship of the whole blood , the step-child of any person is to be treated as his child , and an illegitimate person is to be treated as a legitimate child of his mother and reputed father .
29 The reason is that s.2(3) provides that , for the purposes of s.2(1) ( b ) in this situation only , the creditor is deemed to have been induced to wait for payment .
30 ( Presumably there were three obtainings for the purposes of s.15 . )
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