On the heels of the Customer Services Standard, the Integrated Accessibility Standards (the «IAS») followed with
the first compliance dates set for as early as January 1, 2013.
Not exact matches
If we terminate Mr. Drexler's employment without cause or he terminates his employment with good reason, Mr. Drexler will be entitled to receive (i) a payment of his earned but unpaid annual base salary through the termination
date, any accrued vacation pay and any un-reimbursed expenses, and (ii) subject to Mr. Drexler's execution of a valid general release and waiver of claims against us, as well as his
compliance with the non-competition, non-solicitation and confidential information restrictions described below, (a) a payment equal to his annual base salary and target cash incentive award, one - half of such payment to be paid on the
first business day that is six (6) months and one (1) day following the termination
date and the remaining one - half of such payment to be paid in six equal monthly installments commencing on the
first business day of the seventh calendar month following the termination
date, (b) a payment equal to the product of (x) the last annual cash incentive award Mr. Drexler received prior to the termination
date and (y) a fraction, the numerator of which is the number of days of service completed by Mr. Drexler in the year of termination and the denominator of which is 365, such amount to be paid on the
first business day that is six (6) months and one (1) day following the termination
date, and (c) the immediate vesting of such portion of unvested restricted shares and stock options as provided and pursuant to the terms of the relevant grant agreements under our 2003 Equity Incentive Plan.
If the
dated content you're looking to convert is less practical in nature, or perhaps a more nuanced
compliance training, it could be best to convert and update the overall training
first, in a more traditional style (perhaps a full eLearning program), and then use microlearning to enhance and supplement that training.
In the final rule, this
first date of
compliance has been pushed back two years to 2022.
UNIFIN Financiera, S.A.B. de C.V., SOFOM, E.N.R. (BMV: UNIFIN)(«UNIFIN» or the «Company»), announced that the Company carried out a private offering of Subordinated Perpetual Notes in the United States of America and other international markets in
compliance with Rule 144A and Regulation S of the US Securities Act of 1933 (the «Subordinated Notes») and the applicable regulations of the jurisdictions where such offer was made (the «Offering») for an aggregate principal amount of US$ 250,000,000.00 with an annual interest rate for the
first seven years from the issue
date of 8.875 %.
Covered providers with direct treatment relationships, including covered hospitals, must give a copy of the notice to the individual as of
first service delivery after the
compliance date.
We proposed to require covered health care providers with face - to - face contact with individuals to provide the notice to all such individuals at the
first service delivery to the individual during the one year period after the
compliance date.
A covered internet - based provider must send the notice electronically at the individual's
first request for service, just as other covered providers with direct treatment relationships must give individuals a copy of the notice as of the
first service delivery after the
compliance date.
Covered health care providers with direct treatment relationships are required to provide a notice of privacy practices no later than the
date of the
first service delivery to individuals after the
compliance date for the covered health care provider.
Response: Because health care providers generally lack the administrative infrastructure necessary to develop and distribute mass communications and generally have difficulty identifying active patients, we do not require covered providers to distribute the notice until the
first service delivery after the
compliance date.
The Department assumed that for most types of health care providers (such as physicians, dentists, and pharmacists) one notice would be distributed to each patient during his or her
first visit following the
compliance date for the covered provider, but not for subsequent visits.
Covered health care providers that have direct treatment relationships with individuals must provide the notice to such individuals as of the
first service delivery after the
compliance date.
com Unifin's Subordinated Perpetual Notes Issuance UNIFIN Financiera, S.A.B. de C.V., SOFOM, E.N.R. (BMV: UNIFIN)(«UNIFIN» or the «Company»), announced that the Company carried out a private offering of Subordinated Perpetual Notes in the United States of America and other international markets in
compliance with Rule 144A and Regulation S of the US Securities Act of 1933 (the «Subordinated Notes») and the applicable regulations of the jurisdictions where such offer was made (the «Offering») for an aggregate principal amount of US$ 250,000,000.00 with an annual interest rate for the
first seven years from the issue
date of 8.875 %.
While at UNB, her research examined sexual initiation, sexual
compliance, attraction, oral sex motives, and the content of web - based pornography.Her dissertation examined the association between violated romantic expectations (e.g., love at
first sight, destiny) and relationship outcomes in young adults»
dating relationships.