Tomáš Plch: High Level pohled na design AI Enginu pro large-scale herní simulaciDevelcz
Inception AI Engine je aktuálně nejmodernější AI Engine vytvořený ve firmě Warhorse studios ve spolupráci s Karlovou univerzitou. Podíváme se pod kapotu nástroje, který pohání celý herní svět Kingdom Come: Deliverance.
Tomáš Plch: High Level pohled na design AI Enginu pro large-scale herní simulaciDevelcz
Inception AI Engine je aktuálně nejmodernější AI Engine vytvořený ve firmě Warhorse studios ve spolupráci s Karlovou univerzitou. Podíváme se pod kapotu nástroje, který pohání celý herní svět Kingdom Come: Deliverance.
A presentation delivered on behalf of the State Board of Education of the Commonwealth of the Northern Mariana Islands in Garapan, Saipan on 19 August 2017.
Partners Michael Byrne, Claire McLoughlin, Karen Reynolds and Maria Kennedy co-author the Ireland chapter for the Practical Law Global Guide to Dispute Resolution 2018.
2017-08-18 Little Swipers: Child Safety & Digital CitizenshipFrederick Lane
A presentation delivered on behalf of the State Board of Education of the Commonwealth of the Northern Mariana Islands in Garapan, Saipan on 18 August 2017.
A 90-minute presentation delivered to administrators, supervisors, and educators at the Fairbanks North Star Borough District in Fairbanks, AK on February 18, 2016.
A presentation delivered on behalf of the State Board of Education of the Commonwealth of the Northern Mariana Islands in Garapan, Saipan on 19 August 2017.
The key points from the document are:
1. Ireland introduced formal transfer pricing legislation in 2010 that requires transactions between related parties to be conducted at arm's length prices.
2. The Irish transfer pricing rules were substantially updated in 2019 to broaden their scope of application.
3. Under the Irish rules, the taxable profits of companies must be computed based on accounting profits, subject to any adjustments required by law, including transfer pricing adjustments. Adjustments may deem transactions at undervalue to be deemed distributions for company law purposes.
Lexology Getting the Deal Through Air Transport 2020Matheson Law Firm
Finance and Capital Markets partners Rory McPhilips and Stuart Kennedy and senior associate, Stephen Gardiner co-author the Ireland chapter of Getting the Deal Through Air Transport 2020.
A presentation delivered on behalf of the State Board of Education of the Commonwealth of the Northern Mariana Islands in Garapan, Saipan on 19 August 2017.
Partners Michael Byrne, Claire McLoughlin, Karen Reynolds and Maria Kennedy co-author the Ireland chapter for the Practical Law Global Guide to Dispute Resolution 2018.
2017-08-18 Little Swipers: Child Safety & Digital CitizenshipFrederick Lane
A presentation delivered on behalf of the State Board of Education of the Commonwealth of the Northern Mariana Islands in Garapan, Saipan on 18 August 2017.
A 90-minute presentation delivered to administrators, supervisors, and educators at the Fairbanks North Star Borough District in Fairbanks, AK on February 18, 2016.
A presentation delivered on behalf of the State Board of Education of the Commonwealth of the Northern Mariana Islands in Garapan, Saipan on 19 August 2017.
The key points from the document are:
1. Ireland introduced formal transfer pricing legislation in 2010 that requires transactions between related parties to be conducted at arm's length prices.
2. The Irish transfer pricing rules were substantially updated in 2019 to broaden their scope of application.
3. Under the Irish rules, the taxable profits of companies must be computed based on accounting profits, subject to any adjustments required by law, including transfer pricing adjustments. Adjustments may deem transactions at undervalue to be deemed distributions for company law purposes.
Lexology Getting the Deal Through Air Transport 2020Matheson Law Firm
Finance and Capital Markets partners Rory McPhilips and Stuart Kennedy and senior associate, Stephen Gardiner co-author the Ireland chapter of Getting the Deal Through Air Transport 2020.
Corporate M&A partners Brian McCloskey and Fergus Bolster co-author the Ireland chapter of the International Comparative Legal Guide to Mergers and Acquisitions..
Stuart Kennedy, partner, authors The Assumption of Jurisdiction by the Irish Courts in Cases Involving the Registrar of the International chapter of the Cape Town Convention Journal.
Registry
1. Ireland taxes individuals based on their residence and domicile status. Resident and domiciled individuals are taxed on worldwide income and capital gains. Resident but non-domiciled individuals are taxed on Irish-source income and foreign income remitted to Ireland.
2. Ireland has gift, estate, and wealth transfer taxes called Capital Acquisitions Tax (CAT) imposed on beneficiaries. Rates are 33% but certain transfers like between spouses are exempt.
3. Other relevant taxes include income tax, capital gains tax, universal social charge, value-added tax, stamp duties, and a domicile levy for high-earning non-domiciled individuals.
International Comparative Legal Guide to Private Equity 2019Matheson Law Firm
Corporate partner, Brian McCloskey and Tax partner, Aidan Fahy co-author the Ireland chapter of the International Comparative Legal Guide to Private Equity 2019.
Commercial Litigation and Dispute Resolution partner, April McClements and senior associate, Aoife McCluskey co-author the Ireland chapter of the Class Actions Law Review, 3rd Edition.
Commercial Litigation and Dispute Resolution partner, Julie Murphy O'Connor and senior associate, Kevin Gahan co-author the Ireland chapter of the Insolvency Review, 7th Edition.
International Comparative Legal Guide to Business Crime 2020Matheson Law Firm
Commercial Litigation and Dispute Resolution partners Karen Reynolds and Claire McLoughlin co-author the Ireland chapter of the International Comparative Legal Guide to Business Crime.
This document provides information about transfer pricing rules and regulations in Ireland. It discusses the primary Irish transfer pricing legislation, the government agency responsible for enforcement, the role of the OECD Transfer Pricing Guidelines, the types of transactions covered by the rules, and Ireland's adherence to the arm's length principle. It also addresses Ireland's implementation of the OECD's base erosion and profit shifting (BEPS) project and its effects on the applicable transfer pricing rules.
Finance and Capital Market partners Rory McPhillips and Stuart Kennedy and senior associate, Stephen Gardiner co-author the Ireland chapter of GTDT Air Transport 2020.
Getting the Deal Through: Insurance Litigation 2019Matheson Law Firm
Litigation partners, Sharon Daly and April McClements and senior associate, Aoife McCluskey author the Ireland chapter of Getting the Deal Through 2019.
Ireland introduced formal transfer pricing legislation in 2010 that broadly applies the arm's length principle to transactions between related parties, requiring the substitution of an arm's length amount for the actual consideration in computing taxable profits. The legislation applies equally to domestic and international transactions but does not apply to small and medium-sized enterprises. An adjustment to the accounting profits for tax purposes under the transfer pricing rules could also result in a deemed distribution under company law if the transaction was undertaken at an undervalue.