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

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1 Even as they gathered their evidence the defence committee members knew they had no power , only the hope of influence .
2 We will close the Defence Export Services Organisation and ensure that overseas aid is not linked in any way to arms purchases .
3 Three accountants were knighted in the list : Paul Nicholson FCA , chairman and managing director of Vaux Breweries ; John Raymond Johnstone CA , chairman of the Scottish Forestry Commission ; and CIMA 's John Thomas , head of the Defence Export Services Organisation of the Ministry of Defence .
4 This strategy was invented seven years ago as Mr Harrison , as he then was , saw Racal 's difficulties in competing with the defence industry giants even after the takeover of Decca .
5 Second , although there is no reason to expect any model to be other than linear and additive , there is an argument , presented by Flowerdew ( 1988 ) , which says that since the response variable compromises count data , the appropriate regression model should combine a Poisson error distribution with an identity link function ( see Aitkin et al. 1989 ; 217 ) .
6 Much of the Government-initiated debate on welfare centres on the size of the income support payments made to claimants .
7 We must change the income support rules for 16 to 18-year-olds and under-25-year-olds .
8 The liability of husbands and wives ( it does not apply to unmarried couples which seems anomalous ) arises out of the National Assistance Act 1948 and the income support regulations , and is discretionary for the local authority and DSS .
9 How many pensioners would be floated off means-tested income support if a £5 and £8 increase in the national insurance pension was not matched by a similar change in the income support rates ?
10 We have concentrated the money that the hon. Gentleman would give to pensioners , whether they need it or not , into the income support rates of those who are worst off .
11 In many instances , the income support rates cover the fees .
12 As I have said repeatedly , there remain a number of people for whom we think it is right to do more , and we have been doing more through the income support premiums .
13 The previous year to that , ninety one ninety two , there was a change in the income tax regulations , affecting married women , only married women , everybody is the same , stayed the same .
14 ‘ No regular job , but does n't draw social security or benefits from the unemployment office — ’ I knew that was a con for a start , as the cops rarely liaised with the Social Security people , let alone with the income tax ferrets , thank God' — and yet no known criminal source of income .
15 Linked to the income tax reforms are two changes to the national insurance contribution system ( other reforms affecting entitlement are discussed below ) .
16 With nothing else to read , it seemed to have the edge on the income tax manuals ( though non-believers would say only just ) , so you can imagine how bad I felt when I opened it to find most of the pages had been razored to provide a nest for a small brown envelope .
17 It is just conceivable that the Inland Revenue , thicketed about with legislation and case law , might think these provisions of the Income Tax Acts had some concern for a transaction of that nature , but that is hardly a view which could be shared by one who got out and looked at the wood as a whole .
18 Section 739(2) reads as follows : Where by virtue or in consequence of any such transfer , either alone or in conjunction with associated operations , such an individual has , within the meaning of this section , power to enjoy , whether forthwith or in the future , any income of a person resident or domiciled outside the United Kingdom which , if it were income of that individual received by him in the United Kingdom … would be chargeable to income tax by deduction or otherwise , that income shall , whether it would or would not have been chargeable to income tax apart from the provisions of this section , be deemed to be income of that individual for all purposes of the Income Tax Acts .
19 " That income shall , whether it would or would not have been chargeable to income tax apart from the provisions of this section , be deemed to be the income of that individual for all the purposes of the Income Tax Acts " — the individual ordinarily resident in the United Kingdom can be chargeable under the section whether or not he receives the income .
20 " Capital sums " — section 739(3) ( 4 ) states : ( 3 ) Where , whether before or after any such transfer , such an individual receives or is entitled to receive any capital sum the payment of which is in any way connected with the transfer or any associated operation , any income which , by virtue or in consequence of the transfer , either alone or in conjunction with associated operations , has become the income of a person resident or domiciled outside the United Kingdom shall , whether it would or would not have been chargeable to income tax apart from the provisions of this section , be deemed to be income of that individual for all purposes of the Income Tax Acts .
21 Section 743(4) provides that where an individual has been charged to income tax on any income deemed to be his by virtue of s739 and that income is subsequently received by him , it shall be deemed not to form part of his income again for the purposes of the income tax acts .
22 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 .
23 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 .
24 Section 743(4) provides , specifically , for relief from double taxation : Where an individual has been charged to income tax on any income deemed to be his by virtue of section 739 and that income is subsequently received by him , it shall be deemed not to form part of his income again for the purposes of the Income Tax Acts .
25 And although PEPs offer a tax shelter against income and capital gains tax , it is the income tax advantages which are the most significant for basic rate taxpayers .
26 They include the income tax cuts , union reforms , and ending exchange controls .
27 The Government has also gradually eroded the value of the state earnings-related pension through withdrawing the link to unemployment and invalidity benefit and reducing the income future pensioners will receive .
28 At first glance there appears to be substantial equality in the income maintenance payments made to men and women , in that the same rates apply to both , and there are no rules debarring women from access to benefits just because they are women .
29 County NatWest is concerned about the lowish revenue reserves of Investors Capital and Securities Trust of Scotland , among the income growth trusts .
30 At Windscale in 1957 a sudden temperature rise and ignition of the uranium fuel cartridges within an air-cooled graphite moderated reactor ( a type designed solely for the production of military plutonium ) led to the release of ionizing radiation from the reactor stack .
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