Guidance and Support Sample Clauses
Guidance and Support. Students and employees who need assistance related to a childcare matter may contact one of the following departments: • For an emergency involving a child on campus: Call Public Safety at (678) 466- 4050 immediately. To discuss a childcare concern: • Division of Student Affairs/▇▇▇▇ of Students (▇▇▇) ▇▇▇-▇▇▇▇ – for students • Counseling and Psychological Services (▇▇▇) ▇▇▇-▇▇▇▇ – for students • Human Resources (▇▇▇) ▇▇▇-▇▇▇▇ – for employees and volunteers o Volunteers requiring background investigations/screening • Additional online resources may be found at: ▇▇▇.▇▇▇▇▇▇▇.edu/childcare
Guidance and Support. The NZEI Te Riu Roa and NZSTA will jointly develop and deliver a package of resources, informed by the information gathered, to provide employers with teacher aide-specific advice regarding the use of fixed- term agreements. The resource package could include:
Guidance and Support. The NZEI Te Riu Roa and NZSTA will jointly develop and deliver a package of resources, informed by the information gathered, to provide employers with teacher aide-specific advice regarding the use of fixed- term agreements. The resource package could include: • jointly developed guidelines for use by boards of trustees, principals and business managers • development of online tools accessible to boards of trustees, principals and business managers BETWEEN The Secretary for Education (acting under delegation from the State Services Commissioner pursuant to section ▇▇ ▇▇▇▇▇ ▇▇▇▇▇▇ ▇▇▇ ▇▇▇▇ and in accordance with section 74(5) of that Act) “Secretary” AND New Zealand Education Institute Te Riu Roa Incorporated (representing Teacher Aides employed by state and state- integrated School Boards of Trustees) “NZEI Te Riu Roa” Together “the parties”.
Guidance and Support. During the activation process, it’s advisable to seek assistance from our team, including ▇▇▇▇▇ ▇▇▇ or other staff members. They can ensure that the activation process proceeds smoothly and correctly.
Guidance and Support. The administrator and other donors will support the implementation of the customs benchmarks. In fact, the workshop will explore how the World Bank’s (and other donors’) technical assistance could be channelled into the ARTF benchmarks. This is an important point, as it would reassure the government of the donor community’s (i) support and help for achieving the targets, and (ii) commitment to sustain the strategic approach adopted at the workshop and subsequent ARTF discussions. While the benchmarks for 1392 and 1393 relate to the satisfactory implementation of the action plan, agreement will be sought on the specific elements to be incentivized by the IP, once the authorities have endorsed the action plan.
Guidance and Support. 4.1. Immediately after the signing of this agreement, both the parties will assist each other with the services and support as agreed under this Agreement and provide the RMs whenever it is required for different products in allBanks/NBFCs.
4.2. The Company offers the Service Provider to extend their support/guidance to all the offices where The part of the second part M/s Is operating for the processing of Home Loans and Loan Against Property with Banks and NBFC as agreed.
4.3. The Service Provider offer The Company to extend their support/guidance to all the offices where The Service Provider M/s APYA Capital Services Pvt Ltd is operating for the processing of HL/Loan against Property withBanks/NBFCs.
4.4. Both the parties will keep each other posted with changes, updates, latest schemes, literatures, T&C and all other things which are required time to time. SCHEDULE – I PAY OUT STRUCTURE: Notes:
1. Pay-out will be credited between 25th and 31st of following month.
2. A complete guidance and support will be extended by both the parties to each other.
3. There will be a capping for big ticket size case (10Cr) as per decided by M/s.APYA capital Services Pvt Ltd.
4. Payout will be released on Net Disbursement of the current month.
Guidance and Support. Bay City will provide ongoing advice and consultation to ▇▇▇▇▇▇▇▇’▇ Code Enforcement officers, including: o Fielding questions related to specific cases or procedural issues. o Assisting with the interpretation of complex or unusual code compliance situations. o Providing feedback on ▇▇▇▇▇▇▇▇’▇ code enforcement strategies and methodologies.
Guidance and Support. CCS will provide unlimited real-time advice and guidance to management or the Board with respect to any compliance and regulatory question (that does not require research or a written response).
Guidance and Support. The establishment of unified business registration system would have institutional consequences; the income of AISA, for instance, depends on its license fees. Therefore, a working group should be convened by the MoCI in 1391 (2012) to prepare a strategy with an 18- month roadmap, and gather relevant institutional support for integration and simplification of registration and licensing procedures. The objective would be to integrate business registration under the ACBR, investment licensing under the AISA and trade licensing under the MoCI. It should ultimately produce the formula for a simpler, one-stop licensing shop. Action for fiscal year 1392 (2013) would be further clarified during 1391. The MoF and MoCI would jointly elaborate a set of actions to reduce the license renewal times. This would include a legal opinion, and assessment of the current state of business taxation at the MTO, STO and at least one provincial mustofiat (MoF branch office). It should also include tracking the time taken to issue a tax clearance certificate (per enterprise quintile). The assessment would be supported by the ARTF IPWG and the administrator. With support from development partners, the Government has been working on reforming customs laws and procedures, revenue collection, and information management; as well as trying to reduce time and expense of customs clearance, transport, transshipment, and other border crossing operations for exports and imports. These efforts have been partially successful but there is a still a long way ahead to achieving a business-friendly trading environment. There are three specific issues that have been identified as factors that drive up the cost of trading across borders and lie fully within the administrative responsibilities of MoCI:
Guidance and Support. Through the ARTF-financed Capacity Building for Results program, the Bank will support the achievement of these benchmarks with technical assistance to the Ministry of Finance and Civil Service Commission. If necessary and desired, the administrator will deploy a consultant to help with the preparation of a first draft of the EFS guidelines. It is recognized that the outcome of the 1391 benchmarks depends to a large extent on the willingness of donors to comply with the recommendations issued by the government of Afghanistan. The government‘s performance will be separately measured according to the monitoring and reporting efforts (see relevant progress indicator in annex 4). The monitoring and reporting mechanism should be a survey-type instrument that collects information on salaries paid by donors and the government. It should issue reports regularly, indicating clearly where donors fail to comply. The process would be supported by the ARTF IP Working Group and the results presented and disseminated at meetings of the ARTF Steering Committee or a similar donor coordination group. Requirement of the Civil Service Law: The law should at least outline the model of the Afghan civil service and provide a mechanism for the institution of professional cadres. Measures have been taken to fight crime, including financial crime, and to lay the foundations for an AML/CFT regime. In particular, two legislative decrees were issued by the President in 2004 to fight money laundering and terrorist financing. Although their constitutionality and, ultimately, the validity of the AML/CFT framework, have not been definitively established, both decrees have been implemented, to a certain extent, by the authorities and the private sector. However, current efforts are not commensurate with the high risk of money laundering and terrorist financing in the country. While Afghanistan has criminalized ML and TF through the Anti-Money Laundering and Proceeds of Crime Law (AML) and Combating the Financing of Terrorism Legislative Decree (CFT LD), effective implementation remains problematic. No empirical evidence or concrete results exist to show meaningful implementation of the AML/CFT regime, as investigations and prosecutions are few or non-existent, and non-commensurate with the ML/TF risks Afghanistan faces. More fundamental, however, is the vague legal status of both the AML and CFT LD, due to their non- ratification by parliament more than five years after their int...