Saturday, December 28, 2019

Business Profile of Reid Consultancy - 2497 Words

Business Profile of Reid Consultancy Reid Consultancy is a medium small consultancy firm aimed at providing small to medium sized enterprise entrepreneurs with solutions applicable to all their strategic management, financial and other operational needs. The firm was established by former small and large business owners and managers Yasheka Reid, Reba Nelson and Adobey Raider who saw that there was a gap in the market for affordable business advice for small to medium sized business owners. With their expertise in both the public and private sector being at the helm of three of the country’s largest companies and they themselves operating successful businesses the trio decided to open Reid Consultancy in January 2nd, 2012 in Kingston Jamaica. Over the one year period the business has been in existence the firm as helped several small business owners in making their entities overnight success stories in their respective markets. The trio hopes to expand regionally in the near future. Business Profile Cinnamon Bakery Cinnamon Bakery is a small family owned bakery specialized in baking pastry items with the main ingredient being cinnamon or cinnamon powder. The entity began operating in Ocho Rios St Ann in April 2011 and is owned by husband and wife duo Michael and Suzanne Smith. Michael and Susanne Smith were both pastry chefs in two of Jamaica’s top hotels for over ten year achieving numerous accolades as testament to their skills. The business employs oneShow MoreRelatedPolitical Marketing5740 Words   |  23 Pagesnot appear in a formal management study but in the pioneering work of political scientist Stanley Kelley which charted the emergence of the professional campaign industry in the United States. Commenting on the activities of the first election consultancies, Kelley wrote: â€Å"The team relies heavily but not entirely upon their own intuitive feel for providing political marketing conditions. They pride themselves on having â€Å"good average minds† that help them to see things as the average man seesRead MoreRetailing and Big Bazaar12258 Words   |  50 Pages A Project Report on CUSTOMER PREFERENCES IN CHOOSING BIG BAZAAR, RTC ‘X’ ROADS. A Project Report submitted towards the partial fulfillment of the requirement for the award of the degree of MASTER OF BUSINESS ADMINISTRATION By YOUR NAME ROLL NO Under the guidance ofRead MoreMcdonalds Mccafe Marketing Research3891 Words   |  16 Pagescompanys more than 33,000 restaurants, which are located in 119 countries on six continents (McDonalds). About 9,000 of the restaurants are company owned and operated; the remainder are run either by franchisees or through joint ventures with local business people (Tucker) With its brand mission, â€Å"to be our customers favorite place and way to eat†, the company launched its new McCafà © brand in Canada, a new line of brewed coffee and espresso-based beverages, as well as a so-called restaurant â€Å"re-imaging†Read MoreA Comparison Between Advertising Agencies’ and Pr Agencies’ Internationalization Motives and Entry Modes - Eight Cases from Sweden20158 Words   |  81 Pagesinternationalization as subject has attracted the attention of many authors over the years. Studies regarding this topic started to emerge in the 1960s and the focus was mainly large manufacturing firms for several decades (Johanson and Vahlne 1977, 1990; Reid 1981; Vernon 1966). During the 1970s another group of firms gained increased interest from researchers, namely the service firms (Brimmer and Dahl 1975; Gaedeke 1973; Weinstein 1977). The service firm internationalization literature rose in numbersRead MoreService And Holistic Understanding Of The Hospitality Industry4868 Words   |  20 Pagesoperational, financial and hotel management services to create an effective business turnaround for any luxury hotel. We can provide your company with an effective business plan that is customized as per your individual requirements. Our goal is to ensure that your business has a long-term success rate through our quality service and holistic understanding of the hospitality industry. We will always be on hand to help with any business related issues and resolve them efficiently. As a hotel management companyRead MoreProject Report on Big Bazaar, Hubli7325 Words   |  30 Pagescoherent decision also helps us to implement appropriately the other management functions. It also helps us to run business efficiently effectively when we become or appointed as a business man or as a manager OBJECTIVES OF THE STUDY: âž ¢ The main objective is to study about the â€Å"Marketing Department† by analyzing its process, strategy, so on. âž ¢ To know the company profile includes introduction, brief history, nature of the company, mission statement of the company. âž ¢ To develop knowledgeRead MoreProject Report on Employee Attrition14600 Words   |  59 Pagesorganization’s reward strategy reflects the employee drivers ïÆ'Ëœ The leaving process is managed effectively 8 INTRODUCTION About Datacraft Datacraft is the leading independent IT services and solutions company in Asia Pacific. Specializing in customized business solutions, Datacraft helps clients plan, build and support their IT infrastructures. Datacraft combines an expertise in networking, security, operating environments, storage and contact centre technologies, with advanced skills in consulting, integrationRead MoreManaging and Organizing for Innovation in Service Firms a Literature Review with Annotated Bibliography30787 Words   |  124 Pageslinked to research and development. Our tasks are to fund needs-driven research and to strengthen the networks that are a necessary part of an effective innovation system. VINNOVAs commitments in the field of work life development aim to strengthen business and public sectors contribution for a sustainable development by enlightening the importance of the employee as an actor and a creative resource. Focus lies on the organisation of work, and on management and leadership that increase the ability toRead MoreManagement Control Systems as a Package13705 Words   |  55 Pagesexpected to make the linkages between various forms of control more visible and pronounced than in a larg e and complex organization in which multiple levels of management hierarchy and bureaucratic processes tend to hide informal practices (Mitchell and Reid, 2000; Collier, 2005). The major events, contingencies, and performance data during the ï ¬ rm evolution are presented in the appendix. 3. Case study 3.1. Control practices as an enabling platform—Case 1 The ï ¬ rm was established at the beginning of 1998Read MoreThe Role of Management Accounting in Organizational Control Systems: Preliminary Evidence of an Organic Approach15263 Words   |  62 PagesTHE ROLE OF MANAGEMENT ACCOUNTING IN ORGANIZATIONAL CONTROL SYSTEMS: PRELIMINARY EVIDENCE OF AN ORGANIC APPROACH Associate Professor Chris Durden School of Business James Cook University PO Box 6811 Cairns, Qld 4870 Australia Phone: +7 4042 1015 Fax: +7 4042 1474 chris.durden@jcu.edu.au Professor Hector Perera Department of Accounting and Finance Division of Economic and Financial Studies Macquarie University, Sydney Australia hperera@efs.mq.edu.au THE ROLE OF MANAGEMENT ACCOUNTING IN ORGANIZATIONAL

Thursday, December 19, 2019

Essay on Hero Worship - 809 Words

Hero Worship When asked to conjure up descriptions of a hero or heroism, many people would imagine similar scenes. The firefighters pulling a family from a burning building, a soldier saving his platoon from certain death, rescue workers pulling a stranded mountain climber from a precarious ledge, and the Knights of the Round Table saving a damsel in distress, are all examples of the common hero. Many people display heroism in everyday life but are rarely recognized either by their peers or by the media. Heroism can be traced back in time as early as mythology has been present. People of that era felt a need to worship super-beings who could solve their problems. Current examples reflecting that age are evident on television†¦show more content†¦Because of the unusual circumstances of this incident, the media rightly focused on this child as a hero. Many other forms of heroism do not fit this very succinct definition. The school teacher who has the rare ability to turn students around and prevent them from throwing their lives away is one example. Another example is the counselor who spends extra time and transforms a drug addict into a useful person in society. The doctor, who has the courage to stand up and yell child abuse when others are silent, is another case. The people in these three examples all have one thing in common; they may have saved a persons life. The student who does not study and turns to crime, the drug addict who overdoses on drugs, the child that is delivered to a new caring home, all had their lives saved by one of these unsung heroes. Many would argue that these heroes do this as part of their job and this is what they are supposed to do. None of these saved lives would have happened without these professionals showing heroism every day. It takes commitment, gallantry, courage and sometimes bravery to step up and go a little further than normal. When someone pulls a child from a burning house that person is called a hero. What about the person who, rather than running into the house, runs to a telephone and calls the fire department who, in turn, rescues everybody? Is this person not a hero? If this person had not had the common sense to callShow MoreRelatedHero Worship1177 Words   |  5 Pagesâ€Å"Hero worship never died and never will† (Carlyle, 208).The dreams of becoming a superhero, the desire for success, and the worship of heroic figures are deeply rooted in our hearts. My feelings about heroes are always triggered by the most pervasive form of modern art—films. Every time I watch a heroic film, I feel deeply moved by the strong personalities of the hero. In different films, he can either be a cowboy riding a horse, a warrior who fights for the independence of a country, a policemanRead MoreAncestral Worship as Religion According to Herbert Spencer and Bhil Tribe.2269 Words   |  10 Pages Ancestral Worship as Religion The Ghost-Theory of Herbert Spencer Brief reference may be made to Spencers well-known theory which finds the origin of religion in the worship of ancestors appearing in the form of ghosts. The awe inspired by dead {death}, and the fear created by the dead who had passed beyond the control of the living, constitute the two factors which arouse a new sense in man; and as far back as we can go men are seen offering sacrifices to the spirits of their ancestors. This HerbertRead MoreReflection Paper726 Words   |  3 PagesGoing to church and watching people become baptized, and giving their lives to God, reminds me of why I am saved, and in church. My brother is my hero because he is the reason why I am in church today. If it weren’t for my brother a few years ago getting into a youth group, then I wouldn’t be who I am today, or where I am today. I am thankful that my brother pushed me to go to church because it made me a better person than who I was. I remember watching my brother getting baptized, every t ime I watchRead MoreThe True Heroes are Firefighters Essay1100 Words   |  5 Pagestragic events or September 11th, another type of hero, a true hero, has come to be heralded in America. The courageous men in this group are called firefighters, and protect citizens twenty-four hours a day, seven days a week, 365 days a year. They sacrifice their lives for anyone, no matter what danger to their own being. They have not been appreciated the way they deserve to be for one reason, a term called hero worship in society. Hero worship is a theory first brought to light in the publicationRead MoreThe Archaic and Classical Greek Periods Essay1279 Words   |  6 Pagesof hero cult in both the Archaic and Classical Greek periods. Each of these periods has their own distinctive cultural identity. This essay will look at political life as the most prominent significance for these communities to perform heroic cults. Heroes and Hero Cult â€Å"The word hero appears in Greek language with a twofold meaning. On one hand it is used for denoting a divine being, who lived a mortal life, but after doing some great deed deserved to become god. On the other hand, the hero standsRead MoreImportance Of Heroes In Modern Society713 Words   |  3 PagesThe term â€Å"hero† is attained from the ancient Greeks. In the mind of the Greeks, a hero was a mortal who had succeeded beyond the normal scope of human experience, in which received worship as if he or she was a god. Examples of these heroes are Asclepius, the first doctor; Dionysus, the creator of Greek fraternities; and Hercules, the infamous monster killer. While these people completed honorable deeds, other people who had committed crimes were also known as heroes. These people include OedipusRead MoreEssay on The Successful Hero on a Path to Failure1329 Words   |  6 PagesSuccessful Hero on a Path to Failure What is a hero? Is a hero is a great individual with powers or qualities that separate him from the rest of the society or world for that matter. In a sense, perhaps, I think a hero can be much more than just having these particular qualities. In my opinion, a hero is someone that also commands great respect. There must also have been a great event or deed for someone to be deemed a hero. In the heroic tale of Gilgamesh, Gilgamesh himself is a hero. HeRead MoreEssay on How Heros and Villains Have Envolved Since Aincent Greece1128 Words   |  5 Pagesof a hero was different from our own cultures. As the years passed, the overall concept of what a hero changed dramatically then what they thought years ago. A hero is a literary figure, of course, but here, too, we need caution so that we don’t misapply our own cultural ideas and standards to the ancient Greek hero. You may ask, what is a hero? How can you describe a villain? But everyone will have a different answer to these questions. We all have different points of views on what a hero or aRead MoreEssay on What is the Definition of a Hero?520 Words   |  3 PagesWhat is the Definition of a Hero? When one thinks of heroes, names such as Ghandi, Martin Luther King, and Mother Theresa often come to mind. These people had done a lot of favors, courage, helps, and more of things for the people who needed them. The true definition of hero is a man of distinguished valor. Bravery, courage, intrepidity, boldness, daring, and prowess in war are a hero’s characteristics. However a hero is understood to be different to everyone. Upon closer examination, many differentRead MoreEssay on Heroes in Our daily Lives667 Words   |  3 Pages Growing up as a child in America I did not have a hero. Although I was exposed through my own reading and television to many revered and â€Å"famous† people, I never aspired to be like any particular individual. I looked at people’s accomplishments and achievements, as remarkable as they might have been, as normal. I saw their feats as something that I myself can achieve if I made an effort. I remember my friend, Ben, always talking about Charles Barkley, a legendary basketball player. He would follow

Wednesday, December 11, 2019

Determination of the Tax Consequences-Free-Samples for Students

Questions: 1.Can Robyn be taxed on any part of her salary, from Victoria University, in Australia for the 2016/17 tax year and any other years she acts as coordinator in Calcutta. 2.Determine what amounts will form part of Pauls assessable income for the 2016/17 taxation year. Answers: 1.Issues: The current issues is based on the determination of the tax consequences for the part of salary derived by an Australian resident working overseas and leaving Australia for the purpose of work. Legislation: Taxation rulings of IT 2650 Subsection 6 (1) of income tax assessment act 1936 C. of T. v. Applegate(1979) 9 ATR 899 Henderson v. Henderson [1965] 1 All E.R.179 C. of T. v. Jenkins 82 ATC 4098 Application: The present situation takes into the considerations the salary derived by Can Robyn from her overseas employment as a co-ordinator in Calcutta University. The position of working as the co-coordinator was as long as she remained to work or as long as she wanted the course continued to exist. According to the taxation rulings of IT 2650 it proposes to provide guidelines in determining whether the person who leaves Australia to live overseas on temporary overseas work assignment ceases to be the resident of Australia for the purpose of income tax during their overseas stay (Barkoczy 2016). The term resident and resident of Australia is defined under the subsection 6 (1) of income tax assessment act 1936. As far as the individual is concerned a person whose domicile is in Australia unless the commissioner is satisfied that his or her permanent place of abode is outside of Australia (Snape and Souza 2016). Furthermore, as defined under subsection 6 (1) a person who has been in Australia either constantly or in breaks for no less than half of the income year unless the commissioner is satisfied that an individuals person place of abode is Australia and that he or she does not have any intentions of taking up the residence in Australia. As evident from the current case study Can Robyn is an Australian resident under subsection 6 (1) of the ITAA 1936 since her permanent domicile is in Australia and has been in Australia for more than half of the income year prior to leaving Australia (Braithwaite 2017). Furthermore, the rulings concludes by stating in general language that the intended and the actual length of stay in the overseas country along with any intention of returning to Australia at some point of time (Cao et al. 2015). From the case study it was found that Can Robyn owned a flat in Melbourne and did not abandoned her residence or place of abode where she resided. Instead, the flat owned by her was mortgaged and received part of her employment income in her Australian bank account. As held in the case of Henderson v. Henderson [1965] 1 All E.R.179 an individual retains the domicile of the of their own origin unless the person acquires the domicile of their own choice in another country or by the operation of law (Saad 2014). In determining the domicile of an individual for the purpose of definition resident under Subsection 6 (1) it is vital to take into the consideration a persons intention as to the country in which he or she intends to make their home indefinitely (Taylor and Richardson 2013). Hence, a an individual having an Australian domicile will retain the Australian citizenship if the person intends to return to Australia on a evidently foreseen and reasonably anticipated contingency which is after the end of her employment. As evident form the current situation that Can Robyn has maintained her flat in Melbourne located in Australia. She is also intended to return to Australia on an evidently foreseen and reasonably anticipated contingency after her e mployment ends in Calcutta University. According to the taxation ruling of IT 2650 the liability to impose tax arises and the question where the taxpayer resides should be taken into the consideration in determining the applicable facts of the income under the considerations (Woellner et al. 2013). As held in F.C. of T. v. Applegate(1979) 9 ATR 899 the primary query that rises is to be asked in taking into the consideration that the residency status of a person temporarily leaving Australia is whether the person can be considered as the Australian resident for the purpose of tax (Robin 2017). As a general rule a person leaving Australia not for permanently would yet be considered as to have maintained the Australian domicile unless the it is understood that the person acquired a different domicile of their own choice or by the operation of law. As evident from the following scenario Can Robyn would be considered to have maintained her Australian resident since she has maintained her bank account in Australia to pay for the mortgage flat from the part of the salary received in her Australian bank account. A working visa even from the substantial period would not be considered as a sufficient evidence of an intention to acquire the new domicile (Blakelock and King 2017). In the present scenario, it is assumed that the taxpayer intended to stay in India only for the temporarily period until the course exist and then move back to the Australia. During her course of employment in India Can Robyn did not abandoned her flat that was held in Melbourne due to her overseas absence. Foreign employment income is an income that is derived by an Australian resident working overseas in the form of employee. Foreign income comprises of the income that is earned by the person in the form of salary, wages, commissions, bonuses, allowance and income assessed under the employee share scheme provision. Actually Australian resident are generally taxed for their worldwide income. With reference to the present scenario of Can Robyn it can be said that the part of the salary that is received in her Australian bank account. It is noteworthy to denote that the payment can still qualify in the form of foreign earnings even if it is paid in Australian and it is not derived at the time an individual has worked overseas however, the payment received should be attributable to the period of service rendered (Vann 2016). As evident, the income received by Can Robyn in her Australian bank account would qualify in the form of foreign income since it is paid in Australia. Citing the refe rence of F.C. of T. v. Jenkins 82 ATC 4098, Can Robyn foreign income attracts tax liability and will be included in the assessable income as foreign employment income. Conclusion: To conclude with Can Robyn is required to declare the income that is earned by her from her employment with Calcutta University as a coordinator because the employment income received in her bank account is assessable under subsection 6 (1) of the ITAA 1997. 2.Issues: The present study is based on ascertainment of the taxable income of Paul who had a personal business of Golf Instructor. Legislation: Subsection 6-5 (2) and (3) of the Income Tax Assessment Act 1997 Subsection 25 (1) Barratt v. FC of T92 ATC Henderson v. FC of T(1970) Taxation Rulings TR 93/11 Application: As stated under subsection 6-5 (2) and (3) of the Income Tax Assessment Act 1997 taxpayers should include their assessable income in the gross income which is generated by them (Fry 2017). With reference to the subsections 6-5 (2) and (3) an income that is produced in the income year however received in the other year, the implementation of correct process of ascertaining the earnings is the applicable income year that becomes the subject of the taxpayers and their advisors. The taxation rulings of TR 93/11 is applicable to persons and entities for taxation purpose and it is obligatory for the person to implement either receipts or the earning method of tax accounting in determining the taxable income (Anderson, Dickfos and Brown 2016). As defined under the TR 93/11 fees received under subsection 25 (1) is considered as income in compliance with the ordinary concepts of the ITAA 1936 for professionals or experts whose income is assessable under accrual basis (Tan, Braithwaite and Reinhart 2016). From the given study, it is understood that Paul derived a fee income from the private lesson with the objective of providing lesson to his clients. This brings forward the query of professional fee earnings derived under subsection 25 (1) of the ITAA that must be determined in reference to the facts of the existing case of Pual with reference to the agreement entered into by Paul. From the scenario, it is understood that Paul derived a fee income for lessons imparted to one of his clients following five years of the lesson provided. Based on the appropriate construction associated with the agreement, a recoverable debt is established in such a manner where a professional debt person shall not be under obligation of taking a ctions before it becomes entitled for payment (James 2016). A fee shall be recoverable in the relevant sense given the time to pay has been approved. Citing the reference of Henderson v. FC of T(1970) income that is taxable based on the accrual basis is generated under the subsection 25 (1) of the ITAA when a recoverable debt is established where the taxpayer is not required to take any actions prior to they become entitled for payment (Pope, Rupert and Anderson 2016). In addition to this, a professional person on receiving fee income in advance for the purpose of work to which it is associated. If the agreement has been created amid the professional and the client, the fee income that is derived in the year of income during which the professional individual completes the work to which the fee income is associated either wholly or partly. From the current study of Paul it is understood that fee that is derived by him is concluded as the portion of income and will be included in the assessable income of Paul. As stated under the Taxation Rulings of TR 93/11 recoverable debt is created with a professional individual which does not requires bill to the client once the work is entirely or completely completed (Feld 2016). From the given situation, it is understood the fee received by Paul from Doreen would form the part of the assessable income. The fee received by Paul is considered as income in the income year and such income would be included in the assessable income since the receipt of fee would be regarded as the recoverable debt for the lesson imparted. In computing the assessable income of Paul receipt of $6,000 and $28,000 from the series of lesson imparted would form the part of the assessable income. With reference to the Barratt v. FC of T92 ATC the federal court of Australia has considered the statutory impediment in commencing the lawful proceedings for the recovery of the bad debt (Pope, Rupert and Anderson 2016). However, this does not put off the timing in which the fee income is generated under the subsection 25 (1) by the professional person whose earnings will be taken into the consideration for assessment under the accrual basis. Conclusion: On arriving at the conclusion, the existing study has considered the consequences of income tax derived by Paul in his business course. In accordance with the sub-section 25 (1) of the Income Tax Assessment Act 1936 will be considered as assessable and will be included in the assessable income. Reference List: Anderson, C., Dickfos, J. and Brown, C., 2016. The Australian Taxation Office-what role does it play in anti-phoenix activity?.INSOLVENCY LAW JOURNAL,24(2), pp.127-140. 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.Treasury WP,1. Feld, A., 2016. Federal Taxation of State Tax Credits. Fry, M., 2017. Australian taxation of offshore hubs: an examination of the law on the ability of Australia to tax economic activity in offshore hubs and the position of the Australian Taxation Office.The APPEA Journal,57(1), pp.49-63. James, K., 2016. The Australian Taxation Office perspective on work-related travel expense deductions for academics.International Journal of Critical Accounting,8(5-6), pp.345-362. Pope, T.R., Rupert, T.J. and Anderson, K.E., 2016.Pearson's Federal Taxation 2017 Comprehensive. Pearson. ROBIN, H., 2017.AUSTRALIAN TAXATION LAW 2017. OXFORD University Press. Saad, N., 2014. Tax knowledge, tax complexity and tax compliance: Taxpayers view.Procedia-Social and Behavioral Sciences,109, pp.1069-1075. Snape, J. and De Souza, J., 2016.Environmental taxation law: policy, contexts and practice. Routledge. 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. Taylor, G. and Richardson, G., 2013. The determinants of thinly capitalized tax avoidance structures: Evidence from Australian firms.Journal of International Accounting, Auditing and Taxation,22(1), pp.12-25. Vann, R.J., 2016. Hybrid Entities in Australia: Resource Capital Fund III LP Case. Woellner, R., Barkoczy, S., Murphy, S., Evans, C. and Pinto, D., 2013.Australian Taxation Law Select: legislation and commentary. CCH Australia

Wednesday, December 4, 2019

Lute McNeil in The Wedding free essay sample

The paper examines the character of Lute McNeil in the novel The Wedding by Dorothy West. The paper focuses on Lute McNeils character in the novel The Wedding by Dorothy West . It shows that the novel that appeared in 1995 when the author herself was 87 years old examines psychological and emotional concerns that emerge when interracial marriages take place. The paper briefly discusses the plot and then studies the various roles of Lute McNeil in the novel. He comes into Shelbys life to serve an important purpose. He enables her to see the truth by delving deeper into the subject of race and interracial marriages. Now we must make it clear that it not exactly Lute who makes her wiser but it is in him that she is able to see that vices can exist in men of any race and thus it was unwise to harbor the notion that black men were better than white in any sense. We will write a custom essay sample on Lute McNeil in The Wedding or any similar topic specifically for you Do Not WasteYour Time HIRE WRITER Only 13.90 / page Through Lute, she realizes that race is no criterion for determining who one should marry, the decision should be based on intrinsic values of love and faithfulness.