Not exact matches
Important factors that could cause our actual results and
financial condition to differ materially from those indicated in the forward - looking statements include, among others, the following: our ability to successfully and profitably market our products and services; the acceptance of our products and services by patients and healthcare providers; our ability to meet demand for our products and services; the willingness of health insurance companies and other payers to cover Cologuard and adequately reimburse us for our performance of the Cologuard test; the amount and nature of competition from other cancer screening and diagnostic products and services; the effects of the adoption, modification or repeal of any healthcare reform law, rule, order, interpretation or policy; the effects of changes in pricing, coverage and reimbursement for our products and services, including without limitation as a result of the Protecting Access to Medicare Act of 2014; recommendations, guidelines and quality metrics issued by various organizations such as the U.S. Preventive Services Task Force, the American Cancer Society, and the National Committee for Quality Assurance regarding cancer screening or our products and services; our ability to successfully develop new products and services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on For
financial condition to differ materially from those indicated in the forward - looking statements include, among others, the following: our ability to successfully and profitably market our products and
services; the acceptance of our products and services by patients and healthcare providers; our ability to meet demand for our products and services; the willingness of health insurance companies and other payers to cover Cologuard and adequately reimburse us for our performance of the Cologuard test; the amount and nature of competition from other cancer screening and diagnostic products and services; the effects of the adoption, modification or repeal of any healthcare reform law, rule, order, interpretation or policy; the effects of changes in pricing, coverage and reimbursement for our products and services, including without limitation as a result of the Protecting Access to Medicare Act of 2014; recommendations, guidelines and quality metrics issued by various organizations such as the U.S. Preventive Services Task Force, the American Cancer Society, and the National Committee for Quality Assurance regarding cancer screening or our products and services; our ability to successfully develop new products and services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form
services; the acceptance of our products and
services by patients and healthcare providers; our ability to meet demand for our products and services; the willingness of health insurance companies and other payers to cover Cologuard and adequately reimburse us for our performance of the Cologuard test; the amount and nature of competition from other cancer screening and diagnostic products and services; the effects of the adoption, modification or repeal of any healthcare reform law, rule, order, interpretation or policy; the effects of changes in pricing, coverage and reimbursement for our products and services, including without limitation as a result of the Protecting Access to Medicare Act of 2014; recommendations, guidelines and quality metrics issued by various organizations such as the U.S. Preventive Services Task Force, the American Cancer Society, and the National Committee for Quality Assurance regarding cancer screening or our products and services; our ability to successfully develop new products and services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form
services by patients and healthcare providers; our ability to meet demand for our products and
services; the willingness of health insurance companies and other payers to cover Cologuard and adequately reimburse us for our performance of the Cologuard test; the amount and nature of competition from other cancer screening and diagnostic products and services; the effects of the adoption, modification or repeal of any healthcare reform law, rule, order, interpretation or policy; the effects of changes in pricing, coverage and reimbursement for our products and services, including without limitation as a result of the Protecting Access to Medicare Act of 2014; recommendations, guidelines and quality metrics issued by various organizations such as the U.S. Preventive Services Task Force, the American Cancer Society, and the National Committee for Quality Assurance regarding cancer screening or our products and services; our ability to successfully develop new products and services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form
services; the willingness of health insurance companies and other payers to cover Cologuard and adequately reimburse us for our performance of the Cologuard test; the amount and nature of competition from other cancer screening and diagnostic products and
services; the effects of the adoption, modification or repeal of any healthcare reform law, rule, order, interpretation or policy; the effects of changes in pricing, coverage and reimbursement for our products and services, including without limitation as a result of the Protecting Access to Medicare Act of 2014; recommendations, guidelines and quality metrics issued by various organizations such as the U.S. Preventive Services Task Force, the American Cancer Society, and the National Committee for Quality Assurance regarding cancer screening or our products and services; our ability to successfully develop new products and services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form
services; the effects of the adoption, modification or repeal of any healthcare reform law,
rule, order, interpretation or policy; the effects of changes in pricing, coverage and reimbursement for our products and
services, including without limitation as a result of the Protecting Access to Medicare Act of 2014; recommendations, guidelines and quality metrics issued by various organizations such as the U.S. Preventive Services Task Force, the American Cancer Society, and the National Committee for Quality Assurance regarding cancer screening or our products and services; our ability to successfully develop new products and services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form
services, including without limitation
as a result of the Protecting Access to Medicare Act of 2014; recommendations, guidelines and quality metrics issued by various organizations such
as the U.S. Preventive
Services Task Force, the American Cancer Society, and the National Committee for Quality Assurance regarding cancer screening or our products and services; our ability to successfully develop new products and services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form
Services Task Force, the American Cancer Society, and the National Committee for Quality Assurance regarding cancer screening or our products and
services; our ability to successfully develop new products and services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form
services; our ability to successfully develop new products and
services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form
services; our success establishing and maintaining collaborative, licensing and supplier arrangements; our ability to maintain regulatory approvals and comply with applicable regulations; and the other risks and uncertainties described in the Risk Factors and in Management's Discussion and Analysis of
Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on For
Financial Condition and Results of Operations sections of our most recently filed Annual Report on Form 10 - K and our subsequently filed Quarterly Reports on Form 10 - Q.
Many supporters of delay also argued that the President's Memorandum has rendered the ultimate fate of the Fiduciary
Rule and PTEs uncertain and that proceeding with the April 10, 2017 applicability date in the face of this uncertainty would impose unnecessary costs and burdens on the
financial services industry and result in unnecessary confusion to investors inasmuch
as products,
services, and advisory practices could change after completion of the examination.
The revised
rule comes
as a response to a report by Japanese media outlet Nikkei earlier on Thursday, which indicated that Japan's
Financial Services Agency (FSA) has raised concerns over what it considers a loosely enforced ID verification process on the bitFlyer platform.
Thousands of
financial and insurance
services businesses may decide against advising consumers about the safety and protection of qualified annuities if the DOL
rule is implemented
as it is written.
While the pace of change is exciting for innovators and market makers, it causes enormous friction for traditional institutions who control
financial services today,
as well
as for regulators who are grappling with
rules that were not meant to govern
financial transactions using the latest technologies.
Delaney said he sees two events unfolding: «The existing players... will adopt this
rule, make changes to their business models
as needed, and they'll work hard to keep every one of their customers because one of biggest costs that
financial services companies have are what's called customer acquisition — meaning the money they spend for customers,» he said.
This month, the SEC published the latest version of international
financial services firm Capital Group's Code of Ethics — a list of
rules that includes a prohibition against ICO investment by any «associate» of the company,
as well
as by certain relatives.
As anticipated,
financial services trade groups are said to be filing a lawsuit soon challenging the Department of Labor's new fiduciary
rule.
As a result, Eric Hatfield, from RIA Hatfield Insurance and Financial Services in Sherman Oaks, California, said his firm now will not adapt the paperwork that its outside law firm had drafted to be used when the DOL rule takes effect but will continue to work on behalf of the best interests of its clients as alway
As a result, Eric Hatfield, from RIA Hatfield Insurance and
Financial Services in Sherman Oaks, California, said his firm now will not adapt the paperwork that its outside law firm had drafted to be used when the DOL
rule takes effect but will continue to work on behalf of the best interests of its clients
as alway
as always.
You'll lose 60 to 70,000
financial services jobs
as a direct result of that
rule.
Sen. Elizabeth Warren urged Acting Labor Secretary Edward Hugler on Tuesday not to delay the April 10 implementation date of Labor's fiduciary
rule as it would be «a slap in the face» to
financial services companies that have already invested in compliance.
There is no question the Fiduciary
Rule will hurt the bottom line for many
financial service companies that profit from conflicted retirement plan investment advice — possibly reducing their revenue by
as much
as $ 17 billion per year!
In a mail sent to Wikileaks, Coinbase has stated that they are classified
as a regulated Money
Services Business under the US Treasury's FinCEN (
Financial Crimes Enforcement Network) and that they have to comply to certain
rules.
As of June 9, 2017, all
financial institutions offering retirement
services will operate under the Department of Labor Fiduciary
Rule.
Apart from the
Financial Crimes Enforcement Network of the US Department of the Treasury («FinCEN»), major US regulators such
as the US Commodity Futures Trading Commission («CFTC»), Internal Revenue
Service («IRS») and SEC, have yet to make official pronouncements or adopt
rules providing guidance with respect to the classification and treatment of Bitcoins and other Digital Math - Based Assets for purposes of commodities, tax and securities laws.
Rio Tinto expressly disclaims any obligation or undertaking (except
as required by applicable law, the City Code on Takeovers and Mergers (the «Takeover Code»), the UK Listing
Rules, the Disclosure and Transparency
Rules of the
Financial Services Authority and the Listing
Rules of the Australian Securities Exchange) to release publicly any updates or revisions to any forward - looking statement contained herein to reflect any change in Rio Tinto's expectations with regard thereto or any change in events, conditions or circumstances on which any such statement is based.
The
rules, released through the Department of
Financial Services and Motor Vehicles, are deemed «emergency» regulations
as the provision is set to take effect in the coming weeks.
That Agreement may take in elements of current Single Market arrangements in certain areas — on the export of cars and lorries for example, or the freedom to provide
financial services across national borders —
as it makes no sense to start again from scratch when Britain and the remaining Member States have adhered to the same
rules for so many years.
But in fact, House Republican
rules prohibit members who serve on exclusive committees, including Budget and
Financial Services, from serving
as Subcommittee chairman on another committee.
CFPB TO SCRUTINIZE LOAN SERVICERS: The final
rule issued today will give the Consumer
Financial Protection Bureau authority over the largest non-bank student loan servicers for federal loans, including Sallie Mae, American Education
Services, Nelnet, Great Lakes,
as well
as ACS, Mohela and EdFinancial.
The private lenders in Brampton are not subject to these
rules as they are not
financial institutions, can
service clients who are turned down by banks.
As a regulated
financial services provider, we are required to comply with Australian
rules and regulations relating to the identification of our customers before they open an account with us.
If the Administrator finds that the
financial responsibility, experience, character and general fitness of the applicant are such
as to warrant belief that the business will be operated pursuant to the Credit
Services Organization Act and
rules promulgated pursuant thereto, the Administrator shall grant the application and issue to the applicant a license which will evidence his authority to do business under the provisions of the Credit
Services Organization Act.
Ceros
Financial Services, Inc., located at 1445 Research Boulevard, Suite 530 Rockville, MD 20850, serves
as principal underwriter for the Tree Ring Stock Fund and maintains all records required to be maintained pursuant to the Fund's Master Distribution and Shareholder
Servicing Plan and Agreements adopted pursuant to
Rule 12b - 1 under the 1940 Act.
This approach may avoid running afoul of the Supreme Court's observation that, «[a] s a general
rule, decisions concerning budgetary allotments for departments or government agencies will be classified
as policy decisions,» because funding (or not funding) individual
services may not implicate larger budgetary decisions if the «operational decisions» are made by «lower level» actors within the parameters — including ultimate
financial constraints — of the policy.
You still have to consider the rest of the package, such
as the accounts
rules, the
rules dealing with indemnity insurance and the compensation fund, and the
rules regarding incidental work where the
Financial Services Authority is the ultimately responsible regulator.
These
rules have been introduced
as part of the SMCR / SIMR accountability regimes and place obligations on all
financial services firms, not just those currently caught by SMCR and SIMR.
(2) at any time with
Rules 3.4 (Appointments to Governmental Positions), 3.8 (Appointments to Fiduciary Positions), 3.9 (
Service as Arbitrator or Mediator), 3.10 (Practice of Law), 3.11 (
Financial, Business, or Remunerative Activities), 3.14 (Reimbursement of Expenses and Waivers of Fees or Charges), 3.15 (Reporting Requirements); and
It argues that the
rule of law is being undermined by broadly drafted laws that, in practice, allow the regulators or prosecuting authorities to decide what is illegal, eg s 75 of the Banking Act 2009 gives the Treasury the power to disapply or modify the effect of any law without Parliamentary approval, and the
financial services industry
as a whole increasingly relies on «principles - based regulation».
It may comprise: advice on complying with pre-action protocols; exploring the different avenues available for alternative dispute resolution (ADR); providing clients with a glossary of terms they will be come across in the court process; instruction sheets in plain English to explain aspects of procedure and the essential law to be applied (translated to be available in Welsh or foreign languages); how to provide disclosure; preparing court documents such
as witness statements, case and costs summaries, chronologies and skeleton arguments; complying with the
Rules in relation to
service of documents, the preparation of statements of case, the appointment and instruction of expert witnesses; the importance of CPR Pt 36; or how to prepare for and what to expect at a
financial dispute resolution (FDR) or a final hearing / trial.
In this recent Statement of Objections, the Commission alleges that Google has breached EU antitrust
rules by: requiring manufacturers to pre-install Google Search and Google's Chrome browser and requiring them to set Google Search
as default search
service on their devices,
as a condition to license certain Google proprietary apps; preventing manufacturers from selling smart mobile devices running on competing operating systems based on the Android open source code; giving
financial incentives to manufacturers and mobile network operators on condition that they exclusively pre-install Google Search on their devices.
Canada prides itself
as a leader in
financial services and the agreement will facilitate deeper links between the Canadian and European banking sectors opening markets for the vital
financial services while ensuring the maintenance of strong government
rules for the sector.
In April, Japan's
Financial Services Agency implemented
rules that recognized bitcoin
as a payment method.
The new Japanese
rules enacted by the
Financial Services Agency went into effect April 1, establishing bitcoin
as a legitimate payment method by putting
rules on businesses in the industry.
According to the new version of the law, Canadian bitcoin operators became subject to the same
rules and regulations
as the rest of «money
services business» and had to be registered with the Canada's
financial intelligence centre FINTRAC.
The regulator of Abu Dhabi «sinternational
financial centre said it could create rules forexchanges handling virtual currencies, in a sign thatauthorities in the United Arab Emirates may allow trade incryptocurrencies such as bitcoin to develop.The Financial Services Regulatory Authority (FSRA) isconsidering whether to establish a framework for virtualcurrency exchanges, the FSRA, which supervises the Abu DhabiGlobal Market (ADGM), said o
financial centre said it could create
rules forexchanges handling virtual currencies, in a sign thatauthorities in the United Arab Emirates may allow trade incryptocurrencies such
as bitcoin to develop.The
Financial Services Regulatory Authority (FSRA) isconsidering whether to establish a framework for virtualcurrency exchanges, the FSRA, which supervises the Abu DhabiGlobal Market (ADGM), said o
Financial Services Regulatory Authority (FSRA) isconsidering whether to establish a framework for virtualcurrency exchanges, the FSRA, which supervises the Abu DhabiGlobal Market (ADGM), said on Sunday.
As reported in March, Google's updated
financial services policy will
rule out all related cryptocurrency advertising through its AdWords
service from June 2018.
South Korea's
Financial Services Commission has enacted a series of
rules which it hopes will «reduce room for cryptocurrency transactions to be exploited for illegal activities such
as crimes, money laundering, and tax evasion.»
Tags for this Online Resume: Leadership Abilities, Healthcare Insurance Denials, Registration Requirements, Proficient in Microsoft 2007 - 2010, Excellent Communication Skills, Electronic Database Proficiency, Healthcare Billing and Payments, Ability to Organize and Prioritize, Ability to Audit Medical Records, Focus is on Customer
Service and their Experience, Certified Electronic Medical Records and A / R Implementation Specialist and Trainer, Provider Credentialing thru CAQH and / or paper, Medicaid Regulatory Requirements, Medicare Regulatory Requirements, Health Insurance Regulatory Requirements, HIPAA
Rules, HIPAA Standards, HIPAA Implementation Guides, Bill Collection and Cash Handling Experience, Coordinate Registration Department, Coordinate Medical Business Office, Transcriptionist, Ability to Troubleshoot Office Equipment including PC's, Fair and objective, Utilizing Ques for Denials will lead to better
financial outcokmes, Keeping abreast of regulatory changes will enhance the effectiveness of team goals, Leader in utilizing Microsoft Products - Obtained Employer Certifications, There is a difference in Great Communication Skills vs. Mediocre, Database Management is ongoing, Utilizing the best technologies available on the market will decrease days outstanding and will show employees that the company is willing to be a trendsetter, Prioritizing a day on the way to work can fall apart
as soon
as you get to work.
• Function
as expert in reimbursement
rules and act
as advocate for patients on
financial issues, while simultaneously providing customer
service.
Administrative Technician III for Texas Department of Transportation: - Implement improved and time saving procedures; consistently reduce overhead costs, improve workflow and increase office efficiency - Create and maintain a database of public assistance complaints; assign an internal investigator to each case and follow - up once closed - Developed and monitor a calendar system using PowerPoint where accurate records of vacation / sick leave / comp time used and accrued are tracked month - to - month for comparison with monthly time sheets - Answer inquiries from the general public, vehicle storage facility operators, motor carriers, the trucking industry and other state / federal agencies regarding
rules, laws and regulations governing the issuance of motor carrier credentials - Prepare correspondence (email and written) and review for completeness and correctness - Field calls and manage administration, resolve a wide - range of staff dilemmas and challenging situations on a daily basisPrincipal Administrative Assistant for Solar Turbines, Inc.: - Provided support to Directors, Department Managers, Project Managers and Project Engineers
as well
as international personnel - Maintained detailed calendars of appointment schedules for business meetings, conferences, domestic / international travel arrangements and special events - Expertly ran this fast - paced, large office encompassing office and structure maintenance, scheduling of machine / equipment
service and repairs, and ordering and stocking office supplies; updated and maintained department web pages - Compiled, created and distributed
financial reports and PowerPoint presentations - Edited and formatted technical documentation and maintained filing systems - Coordinated extensive domestic and international travel arrangements, including air, hotel, car and meeting locations - Planned departmental meetings, special events and office movesSenior Administrative Assistant for Solar Turbines, Inc.: - Supported Department Manager and Supervisors, Manufacturing Engineers and shop personnel - Tracked and monitored pending and confidential correspondence and
financial information - Prepared apprenticeship packets for distribution; received applications, recorded data, and set - up and coordinated Differential Aptitude Tests; notified applicants of test results and set - up initial interviews - Coordinated special events; managed information systems and maintained web pages; oversee special projects - Resolved office obstacles, communication barriers and complicationsSenior Program Assistant for Solar Turbines, Inc.: - Photographed, downloaded and printed digital pictures of parts, processes and people involved in Rotor CAM area - Created and produced departmental newsletter; initiated Receiving Inspection Records Retention process (scanned records onto CD for easy and accessible retrieval and storage)- Set - up and coordinated meetings and special events; created slide show presentations and maintained web pagesPage 2
Accounting Professional — Duties & Responsibilities Develop and maintain a strong and extensive working knowledge of various accounting principles, regulations, tax codes and related applications, continuously applying shifts in the accounting landscape to current responsibilities and client situations Manage important and sensitive
financial documents, receipts and invoices on a daily basis, providing organization for audit assistance and execution
as well
as compliance with various accounting standards Execute various functions and tasks including risk management, discrepancy analyses and resolution, compliance and controls, transaction accounting and other critical functions Perform analysis, research and evaluation of current accounting policies and procedures, providing thorough presentation on the potential positive and negative impacts of any modifications to present strategies Facilitate the efficiency and implementation of all accounting operations from concept to execution, partnering with clients to understand, assess and resolve current
financial - and accounting - related issues Utilize technological resources, including software and accounting applications, to execute all aspects of both corporate and personal accounting
as well
as prepare, audit and file important and sensitive tax documents with appropriate authorities Employ in - depth knowledge of the Internal Revenue Code, IRS, SOX, audit executions, strategy development,
financial statement development and maintenance, tax filings and other critical functions Work closely with clients to develop specific plans - of - action to address future taxation and accounting issues, collaborating with other professional advisors
as needed Understand and apply accounting and
financial reporting standards (GAAP),
rules and regulations, and FASB statements Address and resolve client queries and issues in an expedited manner while delivering personalized and professional
service Ensure adherence to professional codes of conduct, applicable
rules and regulations, laws and other relevant benchmarks
In 1987, the Reagan administration issued what came to be known
as the «gag
rule,» which barred recipients of federal family planning funds from counseling or referring patients for abortion, and which required physical and
financial separation between contraceptive and abortion
services.
As they are currently written, the
rules unfairly prevent consumers from obtaining QM loans through certain affiliated lenders whose joint venture
services are collectively counted against the cap, while individual
services from large retail
financial institutions are each capped separately.
Known
as the fiduciary
rule and set by the Labor Department to take effect in April 2017 — but then delayed by the Trump administration until at least June 2017 and some parts until January 2018 — the
rule simply requires people in the
financial services industry to put consumers» best interests ahead of their own.
Proposed Federal Reserve Board and U.S. Treasury Department
rule would define real estate brokerage and management
as financial activities and thus permissible lines of business for
financial services holding companies and national banks.
(
As always, there are some exceptions to this
rule, so consult with a qualified accountant,
financial advisor or the Internal Revenue
Service.)
There are exceptions to the
rule such
as if the person has provided routine
financial, title insurance, escrow, or trust
services for the taxpayer by a
financial institution, or title / escrow company.
Trade associations representing banks and
financial companies explained that it was not clear under either the current or proposed
rule when
services are considered separate
services, such
as whether different types of credit reports or different types of appraisals and valuations can be considered the same
service.