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Subpart H—Access to Criminal History Record Information Chapter 91—Access to criminal history records for national security and other purposes; Chapter 92—Prohibition on criminal history inquiries prior to conditional offer; Subpart I—Miscellaneous Chapter 95—Personnel flexibilities relating to the Internal Revenue Service
In the United States, the Single Audit, Subpart F of the OMB Uniform Guidance, is a rigorous, organization-wide audit or examination of an entity that expends $750,000 or more of federal assistance (commonly known as federal funds, federal grants, or federal awards) received for its operations.
FAR Subpart 9.5 Organizational Conflicts of Interest Organizational and Consultant Conflicts of Interest (OCIE) problems "Nonpersonal services contract" means a contract under which the personnel rendering the services are not subject, either by the contract's terms or by the manner of its administration, to the supervision and control usually ...
The Organization Designation Authorization (ODA) program was established by FAA Order 8100.15() ... (14 CFR) part 183, subpart D, sections 183.41 through 813.67.
A subsidiary, subsidiary company, or daughter company [1] [2] [3] is a company completely or partially owned or controlled by another company, called the parent company or holding company, which has legal and financial control over the subsidiary company.
Subpart 37.2 defines advisory and assistance services and provides that the use of such services is a legitimate way to improve the prospects for program or systems success. FAR Part 37.201(c) defines engineering and technical services used in support of a program office during the acquisition cycle.
For every new rule, President Donald Trump plans to kill 10 old ones. That's the thrust of the president's latest executive order, signed Friday, called "Unleashing Prosperity Through Deregulation
Under the United States' Internal Revenue Code Subpart F, payments between related Controlled Foreign Corporations (CFCs), or from American companies to related CFCs, may be "treated as Subpart F income" (subject to current taxation as if they were profits in the hands of the ultimate American owner of the corporate structure), in an effort to ...