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Delaware Supreme Court Adopts ABRY Partners Framework Permitting Limitations Of Liability For Fraud Except For Intentional Fraud - Litigation, Mediation & Arbitration

After Climate, Is Enhanced Diversity Disclosure Next? - Corporate/Commercial Law

To print this article, all you need is to be registered or login on Mondaq.com. It s not just mandatory climate disclosure that s on the agenda for Acting SEC Chair Allison Lee. Last week, as reported by  Reuters, in remarks to a forum for securities industry professionals, she said that the SEC should think more creatively and broadly about tackling issues of race and gender diversity, including by potentially revisiting public companies disclosure requirements. In the past, Lee has not hesitated to emphasize her concerns about the absence of prescriptive requirements in rulemakings that would have more certainly elicited disclosure

Crown Electrokinetics Announces $21 5 IPO And Uplisting To NASDAQ - Finance and Banking

To print this article, all you need is to be registered or login on Mondaq.com. Partner Ali Panjwani, co-chair of Pryor Cashman s Corporate Group, and associate Eric Wisotsky represented Crown Electrokinetics Corp. as they closed on a $21.5 million initial public offering and listing on the Nasdaq Capital Market. As detailed in a press release issued by the company: ( Crown or the Company ), a leading smart glass technology company with a patented thin-film solution, today announced the closing of its previously announced underwritten public offering of 4,150,000 shares of its common stock at a public offering price of $4.50 per share. In

FTC Reaches Six Figure Settlement With Promotional Products Company Over

The Tax Treatment Of Interest - Tax

A. INTRODUCTION With this publication we outline the main provisions of the Taxation Laws in relation to the tax treatment of interest income and interest expense and we elaborate on the various financing schemes available. B. THE BASIS OF TAXATION OF INTEREST INCOME Generally, the Taxation Laws in Cyprus are applicable only , both individuals and companies, on their world-wide income. (I) Definition of tax resident In the case of an individual – means an individual who stays in Cyprus for one or more periods exceeding, in aggregate 183 days in the year of assessment. In the case of a company – means a

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