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Sunday, August 23, 2020
Friday, August 21, 2020
Business and Society Assignment Example | Topics and Well Written Essays - 1000 words - 2
Business and Society - Assignment Example Development of businesses and enterprises in the cutting edge world assists with creating more noteworthy work openings and expands the per capita salary level of people (Elliot, 2011). In this way, the partnerships help to take care of business monetary government assistance of the people. Corporate social exercises of the advanced associations help to improve the nature of condition and society. Nonetheless, these organizations regularly use their own money related influence for controlling the approaches built up by the administrative specialists (Langeland, 2013). Such exercises are directed through the campaigning practices of the partnerships. In this manner, enterprises and companies in the cutting edge period have the ability to shape the political, social, social and prudent parts of the world. The greater part of the companies attempt to expand their benefit and income in business. Be that as it may, interesting systems of certain organizations make noteworthy effect on the social and financial condition of certain people. For example, Ben and Jerry, a well known frozen yogurt organization of United States gives broad consideration on social and natural improvement angles (Roach, 2007). In 2001, the organization had utilized all unbleached paperboard pints for bundling purposes. In its mainstream One Sweet Whirled campaign, the organization attempted to address over the issue of worldwide climatic change. Such social obligation related exercises of Ben and Jerry assists with improving the social and net government assistance across various economies (Roach, 2007). Mammoth global organizations, for example, Apple Inc., creates work open doors for a great many people. Nonetheless, campaigning practices of the worldwide organizations decreases social government assistance. Or ganizations like Samsung spend nearly $900,000 for controlling the media transmission property rights related guidelines presented by the Federal government (Langeland, 2013). Business, government and society are three profoundly interrelated factors in the present age.
Monday, July 13, 2020
Munchausen Syndrome Symptoms and Treatment
Munchausen Syndrome Symptoms and Treatment Psychotherapy Print Munchausen Syndrome Overview By Dawn Stacey, PhD, LMHC twitter linkedin Dawn Stacey, PhD, LMHC, is a published author, college professor, and mental health consultant with over 15 years of counseling experience. Learn about our editorial policy Dawn Stacey, PhD, LMHC Medically reviewed by Medically reviewed by Steven Gans, MD on May 18, 2017 Steven Gans, MD is board-certified in psychiatry and is an active supervisor, teacher, and mentor at Massachusetts General Hospital. Learn about our Medical Review Board Steven Gans, MD Updated on September 24, 2019 UpperCut Images/Getty Images More in Psychotherapy Online Therapy Munchausen syndrome is considered to be a mental disorder. People who have Munchausen syndrome will usually act as if they have a true physical or mental issue even though they are really not sick. This behavior does not just happen one time. A person with Munchausen syndrome will often frequently and purposely act like he or she is sick. Munchausen syndrome used to be its own disorder, but under the Diagnostic and Statistical Manual of Mental Disorders, Fifth Edition (DSM-5), it is now called factitious disorder imposed on self. This is a mental disorder where individuals deliberately create, complain of, or exaggerate symptoms of an illness that does not really exist. Their main intention is to assume the sick role to have people care for them and be the center of attention. Diagnosis Criteria Diagnosing Munchausen syndrome can be very hard because of all of the dishonesty associated with this disorder. Doctors must first rule out any possible physical and mental illnesses before considering a diagnosis of Munchausen syndrome. Additionally, in order to be diagnosed with Munchausen syndrome/factitious disorder imposed on self, the following four criteria must be met: Falsification of physical or psychological signs or symptoms, or induction of injury or disease, associated with identified deceptionThe individual presents himself or herself to others as ill, impaired, or injuredThe deceptive behavior is evident even in the absence of obvious external rewardsThe behavior is not better explained by another mental disorder, such as delusional disorder or another psychotic disorder Symptoms The main symptom shown in a person affected by factious disorder imposed on self (AKA Munchausen syndrome) is deliberate causing, misrepresenting, and/or exaggerating of symptoms (physical or psychological) when the person is not actually sick. They may suddenly leave a hospital and move to another area when it is discovered that they are not being truthful. People with Munchausen syndrome can be extremely manipulative, since the main symptom of this disorder has to do with deception and dishonesty. Additional symptoms may include: Wanting others to view them as being sick or impairedFalsifying medical records to specify an illnessPhysically hurting themselves to cause an injuryDoing something to purposely injure themselves in order to cause an illness (for example, drinking a poisonous substance to have a violent stomach reaction) Behavior Because an individual affected by factitious disorder imposed on self will deliberately try to cause an illness or injury, the following are some examples of behavior you may see in somebody who may be diagnosed with this disorder: Exaggeration of an actual injury that may lead to additional and unnecessary medical interventionComplaining about neurological symptoms (such as seizures, dizziness, or blacking out), the presence of which is difficult to determineReporting being depressed and suicidal following an event (like a death of a child) even though there was no death and/or the person does not even have a childManipulating a laboratory test (for example, by adding blood to urine or ingesting a medication) to obtain a false abnormal result Munchausen Syndrome by Proxy Both Munchausen syndrome and Munchausen syndrome by proxy are categorized as factitious disorders. With Munchausen syndrome, the person presents himself or herself to others as being sick, whereas with Munchausen syndrome by proxy, the person presents another individual as being ill or injured.This other individual, who can be a child, another adult, or pet, is considered to be a victim. A person affected by Munchausen syndrome by proxy may also be guilty of criminal behavior if his or her actions consist of abuse and/or maltreatment. Causes The exact cause of this disorder is not known. Due to the deception surrounding Munchausen syndrome, it is also not known exactly how many people are affected by it (but the number is expected to be very low). The onset of symptoms usually occurs in early adulthood, often after hospitalization for a medical condition. Unfortunately, this is a complex and poorly understood condition. One main theory of what causes this mental disorder is a history of abuse, neglect, or abandonment as a child. A person may have unresolved parental issues because of this trauma. These issues may, in turn, cause the individual to fake being sick. People may do this because they: Need to feel important and be the center of attentionHave a need to punish themselves by making themselves sick (because they feel unworthy)Need to pass responsibility for their welfare and care on to other people Effects of Childhood Trauma Another theory as to what causes Munchausen syndrome is if a person has a history of frequent or prolonged illnesses that required hospitalization (especially if this took place during childhood or adolescence). The rationale behind this theory is that individuals with Munchausen syndrome may associate their childhood memories with a sense of being taken care of. After becoming adults, they may try to achieve the same feelings of comfort and reassurance by pretending to be ill. There may also be a link between personality and factitious disorder imposed on self. This is because personality disorders are common in people with Munchausen syndrome. This disorder may stem from the personâs inner need to be seen as sick or disabled. It could also be due to the person having an insecure sense of their own identity. Individuals affected by this disorder are willing to go through extreme measures, such as undergoing painful or risky tests or operations in an attempt to gain the sympathy and special attention given to people who are truly sick. So pretending to be sick allows them to assume an identity that elicits support and acceptance from others. Admission to the hospital also gives these individuals a clearly defined place in a social network. Prognosis Factitious disorder imposed on self is a habitual condition, so it can be very difficult to treat. People with this disorder will often deny that they are faking symptoms, so they usually refuse to seek out or follow treatment. Because of this, the prognosis tends to be poor. Munchausen syndrome is associated with severe emotional difficulties. Individuals are also at risk for health problems or death because of their purposeful actions of trying to hurt themselves. They can suffer additional harm from complications associated with multiple tests, procedures, and treatments. Finally, people diagnosed with Munchausen syndrome are at a higher risk for substance abuse and suicide attempts. Warning Signs If you are concerned that someone you know may be affected by Munchausen syndrome, there are some warning signs that you can look out for. The main sign is that the individual seems to always be complaining about and/or exaggerating symptoms of an illness. Additional warning signs can include: Presence of symptoms only when the person is alone or not being observedExtensive knowledge of hospitals and/or medical terminology (including textbook descriptions of illnesses)Extensive but inconsistent medical historyComplaints of new or more symptoms following negative test resultsProblems with identity and self-esteemReluctance or unwillingness to allow medical professionals to meet with or talk to family, friends, or past medical providersAmbiguous symptoms that are not able to be controlled and become even more severe or change after beginning treatmentWillingness or eagerness to go to the hospital as well as undergo medical tests, operations, and proceduresHistory of obtaining treatment at several hospitals, clinics, and doctors offices (possibly in different cities or zip codes) Treatment Although individuals with Munchausen syndrome may actively obtain treatment for the numerous disorders they create, these individuals typically do not want to admit to and seek treatment for the actual syndrome. People affected with factitious disorder imposed on self deny they are faking or causing their own symptoms, so obtaining treatment tends to be dependent on somebody else suspecting that the person has this disorder, persuading the individual to receive treatment, and encouraging the person to stick to treatment goals. The main treatment goal for Munchausen syndrome is to change the persons behavior and lessen the misuse/overuse of medical resources. Treatment usually consists of psychotherapy (mental health counseling). During treatment sessions, the therapist may try to challenge and change the thinking and behavior of the person (this is known as cognitive-behavioral therapy). Therapy sessions may also try to uncover and address any underlying psychological issues that may be causing the persons behavior. During treatment, it is more realistic to have the person work toward managing the syndrome as opposed to trying to cure it. A therapist may try to encourage these individuals to avoid dangerous medical procedures as well as unnecessary hospital admissions. Medication is typically not used in the treatment of Munchausen syndrome. If the person is also suffering from anxiety or depression, a doctor may prescribe medication. If this is the case, it is important to closely monitor these individuals because of the higher likelihood of using these medications to purposely hurt themselves. In addition to individual therapy, treatment may also include family therapy. Teaching family members how to properly respond to a person diagnosed with Munchausen syndrome can be helpful. The therapist can teach family members not to reward or reinforce the behavior of the person with the disorder. This may make lower the individualsâ need to appear sick since they may no longer be receiving the attention they are seeking.
Wednesday, May 20, 2020
Research Methods - 793 Words
Research Methods Jessica February 2012 What is the difference between direct and indirect observational methods of research? Direct observation is when researchers observe the behavior while it is occurring. Indirect (unobtrusive) observation is when researchers examine physical traces and archival records. (Zechmeister, Zechmeister, amp; Shaughnessy 2001) Direct observation of behavior can be seen in simply psychology: question and answer, as well as simple observation of a personââ¬â¢s daily activities. The researcher can choose to change the atmosphere, or change the study to intervene and observe the changes, while indirect observations main goal is to be unseen and non-influential on the behavior that is being observed as to takeâ⬠¦show more contentâ⬠¦He has not looked into if this study has been performed before, or any other studies like it. And, as I said before, he doesnââ¬â¢t have any background information on the subjects themselves, which isnââ¬â¢t exactly necessary, but could be helpful in hi s conclusion. He comes up with a quick and inadequate hypothesis and then jumps into testing this with his experiment. His experiment is short lived and, though it gives him positive results, these are the results he was looking for. There in lies another bias problem. He went into the experiment, observing others behavior as well as his own, wanting a certain outcome. Rather than creating a useful test study he created a game for himself. He most likely felt that he NEEDED to have the conversation come to a friendly outcome to prove his point, rather than take in information to decide if he even had a valid point to begin with. This is why he needs a separate observer, or a separate confederate, not himself, to distinguish a more open view of his original question. He then takes his biased results and configures a positive conclusion based on his findings. Though he has convinced himself, these findings would not hold up in the scientific world. There is too much vagueness, bias, and also self-gratification in his conclusion to give this a scientific stamp of approval. I would not choose aShow MoreRelatedResearch Methods And Methods Of Research975 Words à |à 4 PagesStudying research method was not a new experience since I have studied about it in my under graduate school. In comparison from the previous one I had, ULMS 515 Applied Research Methods Module has enhanced my understanding about how to conduct a research in an appropriate way to be implemented in the real world setting. I learned to appreciate the nature of research and the research process in academic and practical contexts. This module also enables me to develop my understanding in the differencesRead MoreResearch Methods For A Research Method1925 Words à |à 8 PagesResearch methods assignment LQXIH1 This assignment will be comparing and contrasting two journal articleââ¬â¢s, with a focus upon the research methods used. It will begin by summerising the main findings and key arguments of both articles. Followed by identifying the research methods used, whilst comparing and contrasting their strengths and limitations. It will then move onto looking at how the methodological limitations of each study may be overcome. To conclude this essay a reflection shall be carriedRead MoreResearch Methods4920 Words à |à 20 PagesIntroduction of research and research methods What is research method? As a matter of fact, according to Saundra et al. 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Quantitative methods are those where results are explained in numbers, whereasRead MoreQualitative Research On Research Methods Essay839 Words à |à 4 PagesThis type of research methods involve describing in detail specific situation using research tools like interviews, surveys, and Observations. Qualitative Research is primarily exploratory research. It is used to gain an understanding of underlying reasons, opinions, and motivations. It provides insights into the problem or helps to develop ideas or hypotheses for potential quantitative research. Qualitative Research is also used to uncover trends in thought and opinions, and dive deeper into theRead MoreResearch Methods And Methods Of Interdisciplinary Research Essay1297 Words à |à 6 Pagesof analysis there are three ways in which to think and feel while doing interdisciplinary research. The first is that the knowledge we use that has been previo usly published was done by hard working researchers using sound research methods. 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Wednesday, May 6, 2020
The Pros and Cons of Ecotourism - 2138 Words
The pros and cons of Ecotourism 1. Introduction Ecotourism is defined as responsible travel to natural areas that protect the environment and improve the welfare of local people (International Ecotourism Society (TIES), 2005). It also follow certain principles such as minimize impact, build environmental and cultural respect, provide financial benefits to local people (TIES, n.d.). Global ecotourism began in 1990, and has been growing 20-34% per year, especially in 2004, ecotourism was growing globally 3 times faster than the tourism industry as a whole; with continuous growth, and ecotourism will occupy 25% of the world travel market within six years (TIES, 2005). Ecotourism has advantages and disadvantages. It can contribute to aâ⬠¦show more contentâ⬠¦According to the research in Chicanab, Guatemala, the hosting family required to buy foam pads for tourists to sleep on and need to have a slightly separated space for tourists including a table and bed (Bascomb amp; Taylor, 2008). For hotels, environmental alternatives are easily viewed as drop in standards, the hotels have to provide recycled paper, soap dispensers, towel re-usage, and they may cannot satisfying their customers greatly. Another drawback of developing ecotourism is the potential for ââ¬Ëleakageââ¬â¢, the loss of income from the host country to international investors and foreign-run tour companies (Fennell, 1999; Honey, 1999). This seems that the biggest beneficiary is not the host country but the foreign investors. 3. The impact to Environment. Ecotourism is regarded as responsible tourism in natural areas able to facilitate conservation objectives and able to promote environmentally sustainable development and conservation (Tisdell amp; Wilson, 2005). However, there is also a risk that human activities may harm to the local species. 3.1 The positive impact to environment. The development of ecotourism improved local people and visitorsââ¬â¢ environmental awareness. 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Taxation Law and Practice Business Taxpayer
Question: Describe about the Taxation Law and Practice for Business Taxpayer. Answer: Arthur Murray (NSW) Pty Ltd V FCT (1965) 114 CLR 314 Facts The taxpayer was carrying on a business of teaching dancing lessons. The taxpayer offered a discount to student in order to encourage them for providing prepayment of tuition fees. This prepaid tuition fees received by the taxpayers are placed in the suspense account. This suspense account was described as unearned deposit- untaught lessons account by the taxpayer. Then after providing the dance classes, the taxpayer transferred the appropriate amount of relevant fees for tuition provided from suspense account to revenue account. The agreement between the taxpayer and the students expressly provided that no refund would be provided for the prepaid of tuition fees. However, the general practice is that taxpayer would refund fees of the student if not all the lessons are provided (French, 2013). The taxpayer did not treat the prepaid tuition fees as income derived until the tuition is completely provided to the student. Though the fees were received in advance, the taxpayer did not include it in the assessable income. Therefore the assessable income of the taxpayer only included tuition fees for which dancing lessons have been provided during the relevant year. The commissioner of Income tax calculated the assessable income on receipt basis (Kenny, 2013). The commissioner of Tax included the prepaid fees in the taxpayers assessable income as per section 25(1) of the ITA Act 1936 in the year in which the fees are received and not based on actual year of providing the tuition. Issue The issue in this case before the court was to determine whether the assessable income of the taxpayer should include the tuition fees received in advance in the year in which the tuition was provided or in the year the fees were received (Barnett Harder, 2014). Conclusion The high court held that the taxpayer derived the fees from the tuition in the year the tuition was provided and not in the year in which the fees were received. The general rule is that if the fees are received in advance for services that are not yet provided then such receipt should not be regarded as the income of the taxpayer in the year of receipt (Gaal, 2013). There was an agreement between the taxpayer and the student that the fees received in advance will not be refunded. In normal practice, however the taxpayer refunded the fees where the student did not take all the lessons. Therefore, it was further held by the court that the taxpayer could not include this receipt in advance as income because there is a possibility that the fees can be refunded by the tax payer if the tuitions is not provided (Lynch 2016). a) (i) The ITA Act 1997 in section 6-5 states that the assessable income of the taxpayer should include income derived during the income year. The section 6-5(4) of the act further states that it is considered as income derived when the amount is received by the taxpayer or is received by anyone on behalf of the taxpayer. There are generally two commonly used methods for recognizing income in tax accounting this are receipts methods and earning methods. The taxpayer should choose the method that is appropriate for recognizing the particular kind of income in that income year (Ferran Ho, 2014). That method is considered as appropriate if the method reflects substantially the correct income in that income year. In Para 19 of the Taxation Ruing 98/1, the general rule is that a receipt method is considered appropriate if the income is derived from investments, income derived by employee and other non business income (Courtney 2014). The general rule is that earning methods is considered approp riate when the incomes are derived from the trading or manufacturing business as per Para 20 of the TR 98/1. In most cases, earning method is considered as the most appropriate method of determining income for the purpose of tax. (ii) In the given case, RIP Pty Ltd is a private company carrying on the business of funeral director. The company for the year ended 30 June 2016 reported a profit of $2.45 million. It mainly earned its revenue from funeral services and it collected fees from customer under different options (Carter 2013). The different sources and methods through which company collected its fees are given below: It received fees by issuing net30 days invoice to the customer; It also received fees from external insurance companies by issuing net 30 day invoice; It received fees from RIP finance Pty ltd that provides credit under an installment repayment plan; It received fees from contribution by customers in easy future plan; The general rule is that business income derived is most appropriately reflected in earning method. In case of PIP Pty Ltd, the income is derived as soon as service is provided and should be immediately recognized as revenue. It is the general procedure of the company that after providing the service it raises a net 30 days invoice. It would be inappropriate on the part of the company to actually wait for receiving the fees before recognizing it as revenue. This is because as per the earning method income is derived as the service is provided therefore revenue should be immediately recognized (Matthews Malek, 2012). The company also receives fees from a scheme of easy future plan. Under this scheme, the company receives fees in advance and undertakes to provide funeral service in future. The fees are non-refundable and in case of defaulting members, these fees are transferred Forfeited payment accounts. As the fees are forfeited for discontinuing members so the company does not have any liability for providing the services so this should be immediately recognized as income. Therefore based on the overall analysis it can be concluded that in case of RIP Pty Ltd income is derived as the funeral service is provided (Thwaites, 2014). (b) In the case of Arthur Murray, it was held by the court that the taxpayer derives income in the year the service is provided. The case also that as per the general rule the fees received in advance for providing a service is recognized as income in the year the service is actually provided. The RIP Pty Ltd in the easy future plan receives fees in advance and undertakes to perform the funeral service in future (Beverwijk, 2015). The company treats in its accounts the fees received in advance under the easy future plan as income in the year in which the advance is received. As the circumstances in the case of Arthur Murray and the situation of RIP limited in easy future plan is almost similar so the principles of Arthur Murray applies in the accounting treatment of amounts in easy future plan. According to the principle of Arthur Murray the company should not include the advance fees received under the plan as income in the year the advance is received but should be treated as income in the year the funeral service are provided (Shetreet Turenne, 2013). (C ) The Taxation Ruling 98/1 states that for the purpose of section 6-5 of the ITAA 1997 there are two methods of accounting for tax for items of income. These two methods of tax accounting are Receipts method and earning method. The receipts method is also referred to as the cash basis or cash received basis. In the receipt method, income is derived in the year in which either the constructive or the actual income is received (Ramlogan, 2013). The section 6-5(4) of the ITA Act 1997 also provides that the income will be taken as derived although it is not actually paid over to the taxpayer but is dealt by someone else on the behalf of the tax payer. Another method for accounting for tax is earning method, which is also referred to as accrual method or cash and credit method. In this method, income is derived when it is earned and a recoverable debt is created. The recoverable debt refers to the time in which the taxpayer can legally ascertain the amount as the task that was required to b e performed under the agreement has been performed completely (Woellner et al. 2016). Therefore based on above discussion it can be said that the taxpayer and the commissioner has two choices in the method of accounting for tax and they can chose the method that appropriately reflects the income for the purpose of tax. ii. The RIP Pty Ltd receives fees in advance under easy future plan. If a customer fails to continue the fees until it is completely paid then the company forfeits the partial fees received. The forfeited fees are transferred to a separate account called Forfeited payment account. As the fees are not completely paid so, the company does not have any liability to provide services (Tiley Loutzenhiser, 2012). Therefore, as the fees are non-refundable and the company does not have any liability to provide services in case of incomplete fees based on this circumstances it is advised that the company should treat the forfeited amount as income in the year the amount is actually forfeited. The company for tax treatment should treat the balance of $16200.00 in forfeited payment account as income. Part B As per section, 70-10 of the ITA Act 1997 trading stock means anything that is acquired, produced or manufactured and it is used for the purpose of sale, manufacture or exchange in the ordinary course of business. In order to understand the nature of trading stock it is important to note that trading stock does not include a financial agreement or a CGT asset. In section, 70-25 of the ITA act 1997 it is further provided that the amount incurred should not be of capital nature. In the given case, the RIP purchased caskets and accessories, which are used by the company in its ordinary course of business so it should be treated as trading stock for the tax purpose. The amount incurred for purchase of trading stock is deductible under general deduction as per section 8-1 of the ITA Act 1997. The section 70-15 of the ITA Act 1997 states that amount incurred for the purchase of trading stock should be deducted under general expense in the year in which the item of trading stock becomes part of the stock on hand of the company. In the given case, RIP paid in advance in June 2016 for stock to be delivered in August 2016 that is next income year. In section, 8-1 of the ITA Act 1997 it is stated that the taxpayer can obtain general deduction for outgoing incurred to the extent it is necessary to carry on a business for producing assessable income (Burkhauser et al., 2015). The prepayment payment made by RIP for purchase of trading stock should be treated as advance and not as expense because the item of stock will be delivered in next income and the outgoing incurred does not produce as an assessable income as on 30 June 2016. Therefore, it can be con cluded that the amount of $25000.00 should be treated as advance for the purpose of tax in the income year 30 June 2016. ii The section 6-5 of the ITA Act 1997 states that assessable income of a resident taxpayer will include ordinary income received from any source within or outside Australia. The dividend received is therefore taxable in the hands of the RIP. As the dividends are fully franked so the company will receive franking credit. The section 100-25 of the ITA Act 1997 provides a general definition and list of CGT assets but the advance payment made for rental of storage space is not a capital asset. Therefore prepaid amount of rent should be treated as advance payment and the rent for four months should be treated as a general expense under section 8 of the ITAA Act 1997. The section 83-80 of the ITA Act 1997 states that if the taxpayer receives unused long service leave then it should be included in the assessable income of the taxpayer. In the given case as RIP paid a three months advance for long service leave it should deducted it as expense on 30 June 2016 and not treat it as advance as the expense will increase the companys profit for tax purpose will decrease (Harris, 2013). iii The section 8-1 of the ITA Act 1997 provides that a taxpayer can claim general deductions for amount for producing assessable income. The section 100-25 provides a list of CGT assets that includes land and building. Therefore, expenses paid in relation to land and buildings are not allowed as general deduction but should be included as capital expenditure. The expenses incurred for equipments, for constructing onsite parking, for landscaping should be included in the capital expenditure, and are not allowed as general deduction under section 8-1 of the act (McKerchar et al., 2013). Reference Barnett, K., Harder, S. (2014).Remedies in Australian Private Law. Cambridge University Press. Beverwijk, J. (2015). Power, To a Point: Is the Power to Add and Remove Discretionary Beneficiaries of a Trust Fiduciary?. Burkhauser, R. V., Hahn, M. H., Wilkins, R. (2015). Measuring top incomes using tax record data: A cautionary tale from Australia.The Journal of Economic Inequality,13(2), 181-205. Carter, J. W. (2013).The construction of commercial contracts. Bloomsbury Publishing. Courtney, W. (2014).Contractual Indemnities. Bloomsbury Publishing. Ferran, E., Ho, L. C. (2014).Principles of corporate finance law. Oxford University Press. French, R. (2013). Law-complexity and moral clarity.Brief,40(6), 25. Gaal, J. (2013). Small business entity test.CGT Small Business Reliefs: The Comprehensive Practitioner's Handbook, 77. Harris, P. (2013).Corporate tax law: Structure, policy and practice. Cambridge University Press. Kenny, P. L. (2013). Aligning Income Tax Laws with Accounting Rules: A Simplified Tax System Case Study.Available at SSRN 2340888. Lynch, A. (2016).Great Australian Dissents. Cambridge University Press. Matthews, P., Malek, H. M. (2012).Disclosure. Sweet Maxwell. McKerchar, M., Bloomquist, K., Pope, J. (2013). Indicators of tax morale: an exploratory study.eJournal of Tax Research,11(1), 5. Ramlogan, R. (2013).Judicial review in the Commonwealth Caribbean. Routledge. Shetreet, S., Turenne, S. (2013).Judges on Trial: The Independence and Accountability of the English Judiciary(Vol. 8). Cambridge University Press. Thwaites, R. (2014).The Liberty of Non-citizens: Indefinite Detention in Commonwealth Countries. Bloomsbury Publishing. Tiley, J., Loutzenhiser, G. (2012).Revenue Law: Introduction to UK Tax Law; Income Tax; Capital Gains Tax; Inheritance Tax. Bloomsbury Publishing. Woellner, R., Barkoczy, S., Murphy, S., Evans, C., Pinto, D. (2016).Australian Taxation Law 2016. Oxford University Press.
Thursday, April 23, 2020
Management Research - Marks And Spencer Essays -
Management Research - Marks And Spencer Management Past Structure Marks and Spencer used to be structured under a Functional or U-Form design which works by breaking the company into departments like operations, marketing, finance, human resources, and research and development. This design works well with smaller companies but with bigger companies there is too much information for the top manager to handle and deal with. This is exactly what happened to Marks and Spencer. In 1991, Sir Richard Greenbury took over Marks and Spencer for seven years and structured the company to fit the Functional design. He made the company very aristocratic and rigid where by Head office knows best (The Economist). This created an atmosphere where by the company focused on their products instead of focusing on their customers. Although Marks and Spencer grew and made huge profits within this time, in 1998 their profits fell very quickly and sharply. Marks and Spencer closed a chain of stores which they owned in Canada and rumours were spreading that they would also close two chains of stores which they owned in the United States. The combination of Marks and Spencers quick expansions and the aristocratic rule had definite visible implications on Marks and Spencers well-being. The combination of Marks and Spencers aristocratic rule and structure just couldnt handle everything that was going on. Another one of Marks and Spencers weaknesses stemmed from their heavy reliance on inside promotions. The company would hire college students and have them work their way up the ladder. Very rarely did the company hire outside candidate for senior positions. This prevented outside innovations from coming into the organisation. Reformed Structure In 1998 Marks and Spencer needed to do something drastic because it was losing out on its market share and their reputation was going down the tubes. The company decided it was time to restructure. The new structure of Marks and Spencer would be more like the Conglomerate or H-Form design. In this design the organisation is set up basically as a holding company comprised of unrelated products. The new Marks and Spencer would have seven different business units: womens swear, mens wear, lingerie, childrens wear, food, beauty, and home. This would allow the company to create a more flexible structure which could respond to the fast changing environment. This flexible structure would give autonomy to individual business units helping them tailor to their customers better. Marks and Spencer would no longer operate under the head office knows best principle and would give the customers what they really wanted. Another change was also made in the management of the company. At first, Peter Salsbury took over Marks and Spencer after Sir Richard Greensbury resigned and currently Luc Vandevelde heads the company. The companys head management is running under a short term strategy in order to find someone who can lift Marks and Spencer out the hole. Luc Vandevelde came to the company in May 2000 and will stay on for a year unless he can turn the profits around. To help him out, Roger Holmes, an expert in profit turnaround and customer-focused organisational change, will also join Marks and Spencer in January of 2001 as executive director. The only problem facing the two is that neither have much experience in retailing food or clothing so if they cant turn profits around, the company board will look to acquire a top level manager from Wal-Mart, the worlds largest retailer. Business Essays
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