Sunday, May 17, 2020

Fate And Fate - 1431 Words

In the writings of the Greeks, fate has constantly performed an essential duty. Truth be told, in nearly all Greek writing fate has remained the one consistent crisis that each of the central characters are compelled to challenge. In Homer s Iliad, fate constantly appears to be hiding around the bend, sitting tight for its next prey to meet his or her predetermined course, which is at last demise. Indeed, still the divine beings are unfit to halt or mediate over the span of fate. However, in spite of the calamity and anguish that fate serves, it also appears that free will in the Iliad is not obsolete. Choices are carried out, when confronted with destiny, and despite the fact that the result at last might be identical it brings up the†¦show more content†¦In the event that fate was eventually the main alternative for Achilles, he would not have the choice of having any kind of freedom or the capacity to try and decide. The choices which Achilles makes, in any case, are the reasons that will at last lead him to learn his own particular destiny. The decision of going into combat realizing that there was a likelihood of death, which most fighters are aware of, is not on account of destiny has officially chosen it for him: he elects to battle. He goes and makes his name undying by invading the front lines and evolving into one of the best fighters in Greek legends. Supposing that fate settled on the majority of the choices for Achilles, he would have never confronted Agamemnon for Briseis. He would have never been undecided over the choice of whether he should keep on fighting or return home since his ego was wounded. Fate has nothing to do with Achilles other than the basic truth that Homer uses Fate as a reason for characters to legitimize the circumstances as opposed to having them manage the results of really making a decision. At the point when Achilles at last settles on a choice, decent or not-so-decent, predetermination or destiny are at fault for the result of a choice. Destiny does not control the outcomes or results of a choice and it appears thatShow MoreRelated The Ultimate Fulfillment in Mans Fate by Andre Malraux Essay1531 Words   |  7 PagesThe Ultimate Fulfillment in Mans Fate  Ã‚     Ã‚  Ã‚  Ã‚  Ã‚   In Mans Fate, Andre Malraux examines the compelling forces that lead individuals to join a greater cause. Forced into a life of contempt, Chen portrays the man of action in the early phases of the Chinese Revolution.   He dedicates himself to the communist cause.   It is something greater than himself, a phenomenal concept that he has fused into.   It is something for which he will give his life.   How did this devotion come about?   A combinationRead MoreThe Visit By Friedrich Durrenmatt1483 Words   |  6 Pagesconstruct an allusion to the three fates from Greek mythology. The Greek fates are influential, immortal women in charge of controlling the lives and deaths of mortals. Through Claire’s characterization Friedrich Dà ¼rrenmatt constructs an allusion to the fates by comparing and contrasting the beings within the play The Visit to exemplify the motif of injustice. Dà ¼rrenmatt creates an allusion to the Greek fates through Claire’s physical description and characteristics. The fates are described as having a displeasingRead MoreDaniel Handler: Lemony Snicket1561 Words   |  6 Pagessaid Fate is like a strange, unpopular restaurant filled with odd little waiters who bring you things you never asked for and dont always like.† One of the best examples of fate within literature is Shakespeares play Macbeth. Throughout the play Macbeth goes from noble man to murderous villain throughout his quest to change the fate presented to him by three witches who act as prophets to the other characters in the play. In the end Macbeth, despite his desperate attempts to change his fate, endsRead MoreEssay About Saving My Sister924 Words   |  4 Pagesthey started staring at me again. Who are these people? Why are they here? Where is my sister? The third one finally started to talk in an old english dialect that was barely understandable. From what I understood the the creatures were called the Fates and they came to stop me from saving my sister. They spoke of a huge timeline rupture that could affect everyone for the worse if I saved her. They told me that it was my choice. How could my sister rupture the space time continuum? What could sheRead MoreFate : Fate And Fate976 Words   |  4 Pages In The Oedipus Cycle, fate plays a large role in each character s destiny. Oedipus is told at a young age that he is doomed to murder his father when he is older. Antigone, trying to give a proper burial to her brother kills herself once she is caught. The main characters in Oedipus Rex and Antigone are doomed to face their bleak future because it is in their fate to do so. They are both destined for a tragic end. Although the audience is aware of Oedipus’ future, his tragic flaw is not outwardlyRead MoreThe Fate Of The Fates2045 Words   |  9 PagesSometimes I would always wonder if the Fates is much more confused than I am and it seem like every thing that happen in my life seem to be, unfortunately, a bad decision of someone else. Maybe that’s why I don’t have much of a choice to be able to do something, something great that is. Maybe that’s why my life is always a boring foggy haze and I’m the wind who is trying to blow the foggy haze away in a no-clear direction. If only I can give the Fates a piece of my mind but whenever I’m in a processRead MoreFate, Fate And Fate In The Movie Serendipity711 Words   |  3 Pageswould be fate. This is the story of Jonathan and Sara, told in the movie ‘Serendipity’. The movie shows the ups and downs of relationships and two lovers on the search to meet again. Although the movie is titled ‘Serendipity’, they often talk about fate. So, what’s the difference between the two? Every once in a while, one may have the feeling of serendipity, but may not exactly know how to name that particular feeling. Since there are many words that can be confused with this term, such as fate, destinyRead MoreFate And Fate Essay813 Words   |  4 Pagesdestiny and fate are words that always linger in the back of our minds. As young children we know exactly how our life is going to go, we are going to get married, have children, and live happily ever after. By the time we are in high school we have goals on graduating college and pursuing our careers, getting married, and living to retirement. 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He is of noble and supernatural birth, he faces and successfully overcomes temptations, and he acts as the vessel the gods wish him to be. Although Aeneas frequently makes his own life decisions, it can still be argued that no single aspect of his life was untouched by fate, predictions, or prophecy. Fate directs the main course of action as the gods and goddesses

Wednesday, May 6, 2020

The Sexist Surroundings that Etrap the Narrator in Various...

I. THESIS: The sexist surroundings that entrap the Narrator in â€Å"The Yellow Wallpaper,† Miss Emily Grierson in â€Å"A Rose for Emily,† and Hester Prynne in The Scarlet Letter ultimately suppress the respective protagonists’ identities as women, leading them to suffer in isolation. II. TOPIC SENTENCE I: The protagonists in the â€Å"The Yellow Wallpaper,† â€Å"A Rose for Emily,† and The Scarlet Letter all live in a sexist environment that confines their lives. A. MAJOR I: The history of each respective setting within the all the stories set the stage for the sexism that ultimately ruins the protagonists’ lives. 1. MINOR I: A â€Å"long hereditary habit,† the derogation of women has been passed down from generation to generation in the Puritanical society,†¦show more content†¦The stereotype that women do needlework out of joy is ultimately false, especially for Hester Prynne, who does not use needlework to find joy but repent for the sin she has committed. The Puritans push her desire for repentance away and requires her sewing for their own needs. 2. MINOR II: The impression that the male holds better judgment over the female’s judgment consequently trivializes the narrator’s serious condition in â€Å"The Yellow Wallpaper.† The narrator burdens herself to think that â€Å"there is really nothing the matter with [her] but temporary nervous depression† only because he deemed himself a â€Å"physician of high standing† and the superior one in the relationship (Gilman). 3. MINOR III: In â€Å"A Rose for Emily,† Emily is raised to abide by all of the wishes of her â€Å"dominant father,† and therefore, her voice is silenced at an early age (Snodgrass). The â€Å"human vermin who court her,† harshly judge Emily and try to force her to conform to the traditional ways of the town (Snodgrass). C. MAJOR III: Furthermore, the sexist surroundings oppresses the protagonists’ most basic human rights. 1. MINOR I: The act of individual thinking by Hester is considered to be â€Å"a deadlier crime than that stigmatized by the scarlet letter† (Hawthorne 136). While Hester Prynne’s scarlet letter is a symbol of the sin she committed, overall, she is the symbol that starts to break the Puritanical chains holding back women

Bank Custodians and Systemic Risk System Free Samples to Students

Question: Discuss about the Bank Custodians and Systemic Risk System. Answer: Introduction: Kit is a person hailing from Chile and holding a Chilean citizenship and working in Australia. The given case study refers that Kit can be considered liable to pay according to Australian tax pay laws despite holding a Chilean citizenship. For tax consideration he is considered an Australian citizen, nevertheless being in an American company (Chow, 2015). This is because he has his permanent residence in Australia. This is made sure as he is employed in Australia and also owns a house there. Kit's salary is also credited from an Australian bank. In the same Australian bank, Kit and his wife share a joint account as well. His family, comprising of his wife and kids are residents of Australia as well. All these facts make this evident that as per the Australian Taxation law, Kit can be considered an Australian citizen (Chomik and Piggott, 2016). It is obvious from some facts that Kit has planning to settle permanently in Australia despite having some investments and settlements in Chil e. The tax Kit is liable to shall abide by the Australian Law. The residency of a taxable citizen focuses on his/her residency. As per Australian taxation law, the person himself needs to understand whether he is eligible to pay the taxes for the country or not. The taxation law treats the residents and non-residents in a different manner, so it is critical to find out if the alleged taxable person has his/her permanent owned residence in the country or not. If the residents of Australia has different incomes, are charged for each one of them as per the taxation law (Cortese, 2006). The source of income is not at all considered, whether the revenue is domestic or international if the person is an Australian citizen. There are various laws for taxation applied for several taxes imposed on the citizens. The tax collected by the government is entirely supported by this country's citizens. The income of an individual from the salary that he gets, the properties that he owns and many other valuable products constitute the basis of calculation of the net assets belonging to the individual (Danon, 2010). If the person is not an Australian resident, then these laws were his source of income is considered, does not levy on tax paying terms.The tax department can also charge a person if he/she makes an income out of different taxes. The government earns a portion of the citizen's income, property and transaction commodities as a compulsory involvement in aiding to the government's policies in building up the social and economic backbone of the country. The state, federal and local rules are followed by the taxation laws, which may be further divided into the direct and indirect tax (Engdahl, 2011). The unique character in compulsory taxes is mandatory taxes which generates only for governmental issues. The non-residents are not liable to pay Medicare taxes. The above payments are not considered as the cost of services. The payments thus taken from the citizens as the tax is not be taken as penalties as the primary goal for taxation is to work as the revenue for public. The regular payme nt of the taxes makes it easier for the government to fulfil the needs of the public since it can improve its efforts to develop the socio-economic infrastructure of the country. This, in turn, contributes to increasing the gross domestic product and hence makes the country serve its people in a better way. But Kit is an Australian citizen. That is why he is bound to pay the applicable variable taxes. His global income is considered taxable (Donald and Nicholls, 2014). Though, tax rates are better for residents than the non-residents. To testify the citizenship of a person, or verifying the residential status of the individual, the following factors must be treated as the basic concept. The reasons why a person can be treated as a resident of Australia are as follows: If the frequency of the person returning to the country is variable If the person has family or business ties in Australia If the person is accompanied by family to different trips to Australia If the individual is appointed as a regular employee in an Australian company If the person has personal belongings kept permanently in Australia If the person has belongings in the Australian banks to a certain extent If the person, being a migrant, has business established in Australia These domicile tests configure the citizenship of a person in Australia. Again if the person resides in the country fulfilling his stay for more than 183 days, i.e., more than six months, the person is considered an Australian citizen (Freebairn, 2016). Kit has been residing in the country for quite a long time, and his family has been residing in the country for more than three years in his owned residence, therefore, making him an Australian citizen. So it is evident that, even though he holds a citizenship for Chile, Kit is also liable to pay the taxes in Australia for his incomes. If any other taxes are liable to him from the country of Chile, he has to pay it accordingly, and the Australian tax paying law shall not interfere in that matter (Warren, 2010). Californian Copper Syndicate Ltd v Harris (Surveyor of Taxes) (1904) 5 TC 159 This is a case about a land acquisition that contained copper. The primary intention of a company was to get its hand on the land, though it never took out the copper. The company consequently sold the property to another organization and wished to own some shares of the company as a consideration (Freebairn, 2008). The court declared that the income the company had by selling the land was income in future since the company's intention was to make revenue by selling the land. This was a case of a company setting up a mining coal business on the property the company had acquired. When the entire coal was taken out by the company, the company determined to sell it. Again, to make it more profitable, they decided to subdivide the land and construct roads and infrastructures over the property (Heng, Niblock and Harrison, 2015). The court detained the profits or incomes that the company had obtained by selling off the land to another organization as they only wanted to make use of the land to its best advantage. The land thus becomes a capital and the income obtained by selling the land is incomes due to capital. This case held an incident of an organization which obtained an undeveloped land at the Beach of Whit Fords. The organization took the land overlooking a beach and have the right to use it for fishing purposes. There was an offer that was too good to reject that could only be acquired if the problematic shares of the company were sold to another organization. After this was done, the new shareholders also had an intention (Ingles and Stewart, 2013). They wanted to get hold of the land. As soon as they would get a hold on the land, they had decided to subdivide the land and sell it as housing sites to gain profits from it. The taxpayers refused that the profits were usual incomes as soon as the land was subdivided and the lands were sold. But the court had decided against their favor. It was decided in the court that the taxpayers had made the land a site of land development and had set up a business and the profits are thus earned. This profits earned will be liable to be considered as regular income. The court also concluded that as soon as the land was acquired by the company of the new shareholders, it had its objective changed and now the only purpose of the land was to develop, subdivide and sell the land rather than having a non-commercial purpose (Taylor, 2011). Therefore, it had lost its value in the eyes of the court as a non-commercial site, and the incomes that had occurred due to the selling of the land gaining profits were subjected to be considered as quantifiable income which can be taxed upon. So, as per the law of taxation in Australia, the benefits thus gained by the selling of the land was to adhere as a taxable amount in the eyes of the court. Statham Anor v FC of T 89 ATC 4070 The case in discussion belongs to the income tax department. It was found that the tax assessed was adjusted in a wrong way. However, it was later found that the income of the estate was adjusted by the commissioner (Rodger, 2008). The case here was a demonstration of an incident to determine whether there is any intention of making a profit or not. It was related to the fact whether the person was about to draw profit by selling a piece of land acquired by him. The only conflict was if he was subjected to pay the taxes as per the taxation law against the profit he gained because of his income in the profits he made by selling the land (Lakshmanan, 2015). This was a case of a land containing sand and the organization that was holding the land even after complete extraction of sand from it. The company held the land and waited until the prices hiked to sell it to another taxpayer, in an attempt to increase the returns on the income by selling the land (Palat, 2003). Meanwhile, the land was kept from coming to any use for an extended period. Having sold the land afterward, the tax to be paid as a result formed the crust of the conflict. The court decided that the land was to be sold or used only for commercial purposes and not for any other purpose. The land could only be sold to a person with an intention of making if of commercial use or only to a relative of the owner. Here, in this case, there is a farmer who is questioned whether to be a taxpayer or not. The farmer was attempting to buy a stretch of land that was disputed and had issues regarding it. Finally, at the end of this deal, the land was offered to the farmer (Prince, 2012). The case mentioned here deals with the issues of two brothers owning a land. The only issue was that there were a few houses on the acquired land that had to be removed to renovate the property (Parker, 2007). The main confusion that raised due to this issue that whether the owners, in this case, the brothers, were liable to pay the taxes of any kind regarding the land. Lastly, it was decided by the court that the brothers will not be levied to paying any tax regarding the land. References Chomik, R. and Piggott, J. (2016). Australian Superannuation: The Current State of Play.Australian Economic Review, 49(4), pp.483-493. Cortese, C. (2006). Taxation and the Australian Superannuation System: An International Comparison.Australian Accounting Review, 16(39), pp.77-85. Chow, M. (2015).Australian master tax guide 2015. CCH Australia. Engdahl, S. (2011).Taxation. Farmington Hills, MI: Greenhaven Press. Danon, R. (2010).Double taxation conventions. Zu?rich: Schulthess. Freebairn, J. (2016). Taxation of Housing.Australian Economic Review, 49(3), pp.307-316. Freebairn, J. (2008). Comment:on The Economics of Superannuation.Australian Economic Review, 19(3), pp.87-88. Lakshmanan, J. (2015).Taxation laws. [Place of publication not identified]: Universal Law Publishing. Palat, R. (2003).Tax planning for salaried employees. Mumbai: Jaico Pub. House. Ingles, D. and Stewart, M. (2013). Superannuation Tax Concessions and the Age Pension: A Principled Approach to Savings Taxation.SSRN Electronic Journal. Parker, J. (2007).Tax power for the self-employed. Naperville, Ill.: Sphinx Pub. Rodger, A. (2008). The Economics of Superannuation.Australian Economic Review, 19(3), pp.75-86. Prince, J. (2012.).Tax for Australians for dummies. Warren, G. (2010). Equity home bias in Australian superannuation funds.Australian Journal of Management, 35(1), pp.69-93. Heng, P., Niblock, S. and Harrison, J. (2015). Retirement policy: a review of the role, characteristics, and contribution of the Australian superannuation system. Asian-Pacific Economic Literature, 29(2), pp.1-17. Donald, M. and Nicholls, R. (2014). Bank Custodians and Systemic Risk in the Australian Superannuation System. SSRN Electronic Journal. Taylor, S. (2011). Captured Legislators and Their Twenty Billion Dollar Annual Superannuation Cost Legacy. Australian Accounting Review, 21(3), pp.266-281.