Sunday, May 17, 2020

Will Amir Use His Last Chance To Seek Redemption In The...

Will Amir use his last chance to seek redemption? In the book Kite Runner by Khaled Hosseini, Amir the main character struggles to get attention of his father and becomes jealous of the his â€Å"servant† Hassan. Amir’s jealousy tends to test Hassan’s loyalty consistently to the point where Hassan has to sacrifice for Amir’s happiness. After the flashbacks that Amir had as a 36-year adult about the times he abused Hassan’s loyalty. After the death of his father Baba, Baba’s friend Rahim Khan calls him and tells him that he has to come to Pakistan and when Amir visits Rahim Khan he tells Amir that he has one last chance to redeem himself. The way he redeemed his guilt was by Saving Hassan’s Son named Sohrab in Kabul at an orphanage. Rahim Khan†¦show more content†¦This quote is started by Baba wishing if Hassan was with them when Amir got his first car in America, and then Amir gets reminded of Hassan and the alley incident â⠂¬Å"He smiled and leaned back against the headrest, his forehead almost touching the ceiling. We didn’t say anything. Just say in the dark, listened to the tink-tink of the engine cooling, the wail of a siren in the distance. Then Baba rolled his head toward me. ‘I wish Hassan had been with us today,’ Baba said. A pair of steel hands closed around my windpipe at sound of Hassan’s name. I rolled down the window. Waited for the steel hands to loosen their grip.† (133-134). This quote shows the flashbacks that Amir had when Baba his father mentions Hassan’s name and Amir gets a flashback from the time that he abused Hassan and the time where he just watched Hassan get raped by Assef at the alley. Amir’s past mistakes are not leaving him they are apart of him now, Hassan has to sacrifice himself a lot and has to put himself in danger a lot in order for Amir to be happy and have a good life. Amir had made countless amounts of mistakes as a teenager and now as a 36-year-old adult he is realizing his mistakes and seeking redemption. Amir talks to Rahim Khan about why he can t go to Kabul. Amir is trying to decide whether he should go to Kabul save Sohrab the son of Hassan and seek redemption or just go back to America and Amir realizing thatShow MoreRelatedKey Theme Of Redemption In The Kite Runner By Khaled Hosseini1198 Words   |  5 Pageschoices they make, and many seek redemption afterward. The idea of redemption and guilt is a key theme in the novel The Kite Runner by Khaled Hosseini. The novel revolves around the life of Amir and his journey of redemption for his past sins. The story begins in Afghanistan during the Soviet Invasion in 1970’s, when young Amir betrays his servant and best friend Hassan. Throughout the story Amir makes attempts to deal with his guilt by avoiding it, but he is unable to overcome his guilt until the end ofRead MoreThe Kite Runner 3049 Words   |  13 PagesThe Kite Runner teaches friendship, atonement Review Royal Hamel Hassan!† I called. â€Å"Come back with it!† He was already turning the street corner, his rubber boots kicking up snow. He stopped, turned. He cupped his hands around his mouth. â€Å"For you, a thousand times over!† he said. So opens the pivotal event in The Kite Runner, a novel by Khaled Hosseini. The movie version, which is now in theatres, was nominated for a Golden Globe as best foreign-language film of 2007. Amir and Hassan, inseparableRead MoreThe Kite Runner By Khaled Hosseini2240 Words   |  9 PagesSubject The Kite Runner, by Khaled Hosseini, is a novel about a young Pashtun boy, Amir, and his journey to seek redemption. The Kite Runner bounces between two settings. The story is narrated in 2001, in present day California and shifts back to Amir’s childhood in Kabul, Afghanistan around 1975. Amir was born into a lavish lifestyle with everything he could wish for, except for love, affection, and acceptance from his father, Baba. Ali and his son Hassan, of are servants to Baba and Amir. They areRead MoreThe Search for Redemption in the Kite Runner and Secret Daughter1252 Words   |  6 PagesThe search for Redemption In a lifetime one will face many battles and deal with guilt as said â€Å"nearly all men can stand adversity, but if you want to test a man’s character give him power† (Abraham Lincoln). Guilt from deceiving others or other immoral acts will result in one constantly searching for redemption. Khalid Hosseni’s novel Kite Runner and Shilpi Somaya Gowda’s novel Secret Daughter revolve around betrayal and redemption. Firstly, the search for personal redemption will strongly influenceRead MoreThe Kite Runner By F. Scott Fitzgerald3105 Words   |  13 Pages1. The Kite Runner portrayed numerous characters with flaws and turning points. The Protagonist Amir, he clearly faces a life changing turning point at the plot of the novel, desperate to seek redemption. Turning point in the novel, which changes his life. It seems he is desperate to seek redemption. The turning point for Amir in the novel was when Hassan went to go get Amir’s kite but he got himself into trouble with Assef and his friends. Hassan was brutally raped, while Amir choose to hide andRead MoreKite Runner Redemption Essay1174 Words   |  5 PagesHosseinis, The Kite Runner, is a flashback narrated by a 40 year old Afghan-American man named Amir, who is plagued by his childhood sins until he seeks redemption for his wrongdoing and figures out that redemption requires painful sacrifice. Amir is a kid who experinced someone so loyal to him be raped and Amir did nothing to stop the rapist. One sin led to another and before Amir knew it, he was destroying his life. After h is father died, who was someone who he looked up to most, Amir started to goRead More The Kite Runner Essay1632 Words   |  7 PagesHosseinis novel, The Kite Runner. This is the story of a mans struggle to find redemption. The author illustrates with the story of Amir that it is not possible to make wrongs completely right again because its too late to change past. In this novel Hosseini is telling us that redemption is obtainable, and by allowing us to see Amirs thought process throughout the novel, Hosseini shows us that it guilt is the primary motivation for someone who seeks redemption. Hosseini also uses not only the mainRead MoreAnalysis Of Khaled Hosseini s The Kite Runner 2073 Words   |  9 Pages do you remember ever making a promise to be loyal to a friend? Maybe you exchanged cute heart necklaces or pendants or carved your names into a tree. In Khaled Hosseini s The Kite Runner, two kids, Amir, and Hassan seem to have a strong friendship, represented in their name s carved into a pomegranate tree. However, Amir reveals weakness in their friendship when he betrays Hassan by not intervening when the town bully, Assef, sexually assaults Hassan. In Mindset: The New Psychology of Success, CarolRead MoreThe Kite Runner - Reading Logs7885 Words   |  32 PagesThe Kite Runner Reading logs NV1D Reading Log Task One, Part I. [13.01.12] The author of The Kite Runner, Khaled Hosseini, I think can be portrayed as the protagonist Amir for several reasons one of which is that he himself was born in Kabul, Afghanistan, in 1965. I think that, because of the fact that he was born in Afghanistan, it has contributed to the novel in the aspect of which that the place is not entirely random. Like, if I wrote a book I wouldnt write a story based in perhaps the United

Wednesday, May 6, 2020

Advantages and Disadvantages of Tourism. - 1563 Words

â€Å"Tourism can be a blessing to a country but it is by no means an unmixed blessing.† Discuss By: L6E1 Tourism is the world’s largest and fastest growing industry and can be defined as the totality of the relationship and phenomenon arising from travel and education purposes of people, provided the stay does not imply the establishment of a permanent residence and is not connected with remunerated activity. While it may boost a country’s economy, doubts about the overall benefits of tourism are reinforced by the belief that tourism brings adverse social and cultural effects. As an industry, it may be have several impacts on a country, both good and bad. Tourism is a main source of income to developing countries. When†¦show more content†¦Most importantly, travelling helps, in some way, to reduce racism. For instance, tourists who come to Mauritius learn about our multiracial and multiculturalism society. Even world-famous economist, Joseph Stiglitz, stated that he was impressed by how we all live peacefully together, in spite of our different religions. He even said that big countries like the USA should take Mauritius as an example! Thus, tourism not only creates and cements a strong friendship between different people of different cultures, but may also promote a country’s reputation worldwide. Conversely, there is the opposite view that intercultural encounters are less desired by tourists that often assume that a country owns only natural resources like beaches and parks. They visit the country and return without the knowledge of the country’s culture, traditions, customs, lifestyles, and political aspirations of the host country. This lack of interest is mainly due to the image-making brochures of the tour-operators who, motivated by high profits, will display only things like beaches, luxurious hotels and resorts, cruise ships, and so on. The tour guides are often culturally ill-prepared for their mediating function and are oriented towardsShow MoreRelatedAdvantages And Disadvantages Of Tourism1661 Words   |  7 PagesIntroduction This report will analyse the relative advantages and disadvantages of tourism priorities in Libiza. Tourism has become a significant sector that has an impact on development of economics of the countries with touristic cities in the world. Libiza consists 180 big and small islands located in the Mediterranean Sea with a warm weather. All the islands are separated by canals and connected by bridges with an impressive design and full of history. The history of the country consists inRead MoreAdvantages Disadvantages of Tourism821 Words   |  4 PagesADVANTAGES DISADVANTAGES OF TOURISM Advantages 1. Tourism provides foreign exchange (US dollars) which allows: i) The government to pay bills such as: a) Allows government to pay foreign debt. b) Allows the Bahamian dollar to stay on par with the US dollar. c) Allows government to pay the thousands of persons employed in government their monthly salaries. d) Allows government to have money to do road works, school construction and all other governmental works. ii) Allows BahamiansRead MoreAdvantages and Disadvantages of Tourism.1555 Words   |  7 Pagesâ€Å"Tourism can be a blessing to a country but it is by no means an unmixed blessing.† Discuss By: L6E1 Tourism is the world’s largest and fastest growing industry and can be defined as the totality of the relationship and phenomenon arising from travel and education purposes of people, provided the stay does not imply the establishment of a permanent residence and is not connected with remunerated activity. While it may boost a country’s economy, doubts about the overall benefitsRead MoreAdvantages and Disadvantages of Direct Selling: Perspectives of Both Tourism Operators and Tourists2155 Words   |  9 Pageschanged the way tourism providers interact and trade with their customers. The primary focus for this essay is to discuss the advantages and disadvantages of direct selling for travel and tour management. In this essay, the perspectives of both tourism operators and tourists will be considered. This essay will be presented in four sections. The first section will outline direct selling and identify the users of direct selling. The second section will d iscuss the advantages and disadvantages for a touristRead MoreTourism During The Middle East Business News886 Words   |  4 Pagesbe reliable on such as trade zones and tourism. 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One major advantage of modern dayRead MoreMedical Tourism : An Open Gateway For Patients863 Words   |  4 PagesGenerally, medical tourism refers to the act of people travelling overseas to an under-developed country to obtain medical, cosmetic, or dental treatment. One main reason why medical tourism is becoming more popular is because not everybody has health insurance, and if they do have health insurance, the insurance company will most likely not cover the cost of the whole treatment, leaving patients in great debt. This is why people who cannot afford healthcare, choose to travel abroad as it is cheaperRead MoreHealth Tourism1035 Words   |  5 PagesAyurveda health tourism a boon or curse? Health tourism is good for the countrys economy and the individuals who are benefited by it. But any country which is benefit ted by the health tourism should provide the health benefit for the poor and down trodden first and the only open the health tourism. Other it is a mockery. 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In other words, sustainable development is based on principles of sound husbandry of the world’s resources, and on equity in the way those resources are used and in the way in which the benefits obtained from them are distributed (Making Tourism More Sustainable, 2005). Three dimensions or ‘pillars’ of sustainable development are now recognized as: Economic sustainability, which means generating prosperity at different levels of society and addressing the cost effectiveness of all economic

Principles of International Taxation Law

Question: Discuss about the Principles of International Taxation Law. Answer: Introduction: Income, which is subjected to tax, is known as assessable income. A hobby is understood as the pastime or leisure activity conducted by an individual during their spare time based on recreational purpose or for pleasure. It is noteworthy to denote that the differences between a hobby and a business should be understood for tax (Long, Campbell and Kelshaw 2016). There are some key elements to be taken into the consideration such as; Has the activity being undertaken for commercial purpose, Is the original intention or objective is to make profit, Has the activity been regularly and on repeated basis undertaken, Has the activity been planned and organised in such a way that it constitute business From the above stated case study it is evident that Michael is a practicing surgeon which he considers to be stressful occupation. In order to keep himself stress free Michael undertook an interest in gardening upon his 1-hectare land. He underwent numerous courses in designing flower arranging and regularly sold flowers to his friends for flower arrangements for wedding, funerals and special occasions (Woellner et al. 2016). He generates $8000 from such hobby and alongside practices his profession of surgeon. The activities of Michael do not constitute a full time business since he engages himself in gardening activities in order to release his stress. Amount received from sale of flower does not constitute assessable income and can be classified as hobby. Michael determines his activity as a hobby and he is not subjected to any additional tax or any sort of reporting obligations (King 2016). Since Michael engages himself in such activities, which constitutes as hobby his clients, may request him to provide an ABN while making payment for the supply of flowers or any services made to business. It is noteworthy to denote that Michael does not have an ABN and his activity of selling flower is purely considered as hobby. Michael should use the Statement by a supplier form, as this will help him in avoiding the business, which he is supplying to withhold the amount from their payment to Michael. The practice adopted by Michael does not bear any resemblance to his profession of being surgeon. It is worth mentioning that Michael hobby does not constitute business and therefore he is not entitled to an ABN. Hence, Michael should provide the evidence that his activity constitute hobby or else the payer may withhold 49% of his payment (Edmonds, Holle and Hartanti 2015). Generally, during the computation of assessable income of any business, one is required to include an amount, which an individual receives, or earn during the ordinary course of running ones business (Jones and Rhoades 2013). This may consist of selling trading stock or rendering services. In usual circumstances, an individual is required to include any of the following amounts such as; Any amounts received from isolated transactions outside the ordinary course of business, if one is intended to make profit Amounts over the written down value at the time of selling any kind of depreciation items Compensation received such as workers compensation or any kind of payments received for trading stock losses, business interruptions or cancellation of agreement. Amount received as incentive payments such as cash payment for leasing of business premises Interest earned on any kind of business investments and interest towards overpayment or early payment of tax (Christie 2015). There are also incomes, which are not assessable and are excluded from assessable income. These includes; Amounts which is earned from hobby Gifts or amount which is bequeathed to an individual Prize received which does not forms the part of business Wins from betting or gabling, unless an individual is operating a betting or gambling business Any borrowed sum of money To conclude with, Michael earnings from his hobby of selling flowers does not constitute an assessable income and hence it should be excluded while computing taxable returns (Kenny 2013). Defamation can be defined as the slander consisting of use of words and statements, which creates a negative impact on the reputation of another person. In the current case study, it is found that Peter who is a well-known financial advisor sued Global news for defamation for issuing a statement against him being indulged in fraudulent investment scheme. The statement made against Peter was fallacious and resulted in personal injury to his reputation for which he was awarded $100,000 damages. Hence, the amount received on compensation damages from Global News is not assessable. Awards or settlement received from cases involving defamation is not taxable (Miller and Oats 2016). Thus, this represents that an individual is not required to disclose his compensation or damages received arising out of personal injury. Global News act of defamation constituted personal injury to Peter since this involve attack on his personal reputation. In general practice a person may be able to recover d amages arising out of defamation and slender. Thus, to collect such damages by the plaintiff, it should be proven in the court of law that the statement of slender is false which in this case Peter has rightly done. As stated under the FCT v Sydney Refractory Surgery Centre Pty Ltd [2008] FCAFC 190 the federal court of Australia turned down the appeal for treatment of tax for defamation damages awarded to a corporate taxpayer (Woellner et al. 2016). The company received a compensatory damages of $812,000 on account of defamatory damages. It was found that the commissioner wanted treat the amount in the form of income because the damages had been computed on lost profits and were to mend the hole in the profits of the corporation. It was held by the court that the treatment of tax concerning the payment should be determined concerning the cause of action in respect to compensation received. An organisations trade status was parallel to goodwill and was in the form of capital asset (Edmonds, Holle and Hartanti 2015). It was learnt that injury diminished the reputation of company along with the ability to attract customers to business. Irrespective of the nature, they were measured, any claims aris ing out of business defamation damages or injury hampering the reputation of business is considered as capital claim. Hence, according to the ordinary concepts such claims are not taxable in the form of income. The study also lays down that if an individual uses their settlement amount or damages award to earn profits after receiving it, then under such circumstances one is required to declare such income in their tax return. Thus, any sort of income made from claim amount is considered for taxation purpose (Kenny 2013). For instance, an individual on receiving the compensation payment after the conclusion of their personal injury claims uses that settlement amount to start up his own business than any such income earned would be taxable. Thus, the individual is required to declare such income in his taxation return. According to the common law, defamation and slender are considered to be the part of personal injury law as they causes damage to someones character. A person being the victim of defamation or slender may bring an action in the court of law against the guilty party (King 2016). Thus, under the current study of Peter it was found that the plaintiff suffered an injury and proved in the court of law that there was damage on his reputation or his character. The amount received for compensation damages by Peter will not constitute assessable income as no compensation and damages settlement payment or award is not considered for taxation purpose. Regardless of how such income is measured, a claim arising out of defamation damages based on injury to an individuals reputation is not assessable as income for Peter (Gullifer and Payne 2015). Post employment restraint clauses or restrictive covenants are largely used by the Australian employers so that they can protect their business interest. Such kind of trends is usually followed in employment, which are contractual in nature for professional, senior, or administrative employees. A distinctive restraint clause creates boundaries on the employee restricting the employee in any capacity as a competitor for a particular phase after leaving the employers business (Austlii.edu.au 2016). This is done so to solicit their ex-employer customers, staff and clients to not use their employers confidential trade secrets. Under the current case study it is found that Mable entered into the agreement with Excelsior for $70,000 to restrict her from setting up the business which otherwise creates competition against employer. Such kind of clauses operates in the form of Common law of doctrine consisting of restraint of trade. This represents that a restraint clause should be directed a t protecting specific interest of the employer in the form of trade secrets or business goodwill (Austlii.edu.au 2016). Thus, the court would not uphold the restraint clause restricting the competition, which unduly creates an interference with an employee,s right to sell his or her own labour. It is worth mentioning that if a restrictive covenant is related both with the existing stage of service and phase following the end of the service, the extent of the consideration received relates to the time of service is assessable under subsection 25 (1) (Ato.gov.au. 2016). As stated under the subsection 160 M (7) such section would fall either under old subsection or the new sub section 160 (m). This depends on whether the restrictive covenant was entered into before 26 June 1992 or after the period. Hence, it is assumed that the amount received by Mabel represents that there is an active asset during the phase of the entering into the covenant (Austlii.edu.au 2016). The agreement significantly lays down that the business secrets, trade relations or value of goodwill would not be shared by not setting up the business of or otherwise of similar in nature. Sub section 160 ZA (4) would be applicable in order to trim down any kind of capital gain to such an amount that the sum was c omputable in the form of ordinary income. The segment of such consideration for Mable is associated with the stage following the end of the employment will be considered for assessment under the new sub section of 160 M (6). Thus, it should be noted that neither old sub section 160 M (6) nor the old sub section 160 M (7) is applicable to that portion of the consideration entered into by Mable (Ato.gov.au. 2016). Payment received by Mabel in consideration of the restrictive covenant is considered as restrictions on her future income-earning ability and it is received in large amount, generally constituting of capital in nature and not income (Levi, Segal and Segal 2015). An amount received in the form of reimbursement for the cessation of termination or surrender of rights under the agreement or service or surrendering any pensionable rights is usually considered as capital and not ordinary income. Furthermore, it is noteworthy to denote that if an amount is paid on termination of service in consequences of the taxpayers employment it will be considered as taxable under the special rules which applicable to employment termination payments (Ato.gov.au. 2016). Mabel entered into a restrictive covenant with his employer Excelsior in the form of agreement that he will not do any kind of things, which in any way or otherwise interferes with the business of the employer for a certain period after leaving the old place of work. Such agreements entered by Mable are usually connected with the business for not taking away clients, customer or staff from Excelsior. Payments received by Mable on agreeing to enter into the restrictive covenants are considered as earnings and hence they are liable to be taxable (Ato.gov.au. 2016). This is because the extent of such consideration is associated with the stage following the end of the employment and hence it is assessable under the new subsection 160 M (6). Reference List: Ato.gov.au. (2016).Income you must declare. [online] Available at: https://www.ato.gov.au/Individuals/Income-and-deductions/Income-you-must-declare/ [Accessed 31 Dec. 2016]. Austlii.edu.au. (2016).Sadiq, Kerrie --- "Judicial and Legislative Considerations in the Taxation of Compensation Receipts: An International Comparison" [2001] JlATax 4; (2001) 4(1) Journal of Australian Taxation 98. [online] Available at: https://www.austlii.edu.au/au/journals/JlATax/2001/4.html [Accessed 31 Dec. 2016]. Christie, M., 2015. Principles of Taxation Law 2015. Edmonds, M., Holle, C. and Hartanti, W., 2015. Alternative assets insights: Super funds-tax impediments to going global.Taxation in Australia,49(7), p.413. Gullifer, L. and Payne, J., 2015.Corporate finance law: principles and policy. Bloomsbury Publishing. Jha, K., 2013. Taxation Law. 2013, BA, LL. B-2009 LL. B-2011. Jones, S. and Rhoades-Catanach, S., 2013.Principles of Taxation for Business and Investment Planning, 2014 edition. McGraw-Hill Higher Education. Kenny, P.L., 2013. Aligning Income Tax Laws with Accounting Rules: A Simplified Tax System Case Study.Available at SSRN 2340888. King, A., 2016. Mid market focus: The new attribution tax regime for MITs: Part 2.Taxation in Australia,51(1), p.12. Law.ato.gov.au. (2016).TR 94/D33 (Finalised) - Income tax: capital gains: application of subsections 160M(6) and 160M(7) to restrictive covenants and trade ties (As at 4 August 1994). [online] Available at: https://law.ato.gov.au/atolaw/view.htm?docid=DTR/TR94D33/NAT/ATO/00001 [Accessed 31 Dec. 2016]. Levi, S., Segal, B. and Segal, D., 2015. Do fiduciary duties to creditors reduce debt-covenant avoidance?. Long, B., Campbell, J. and Kelshaw, C., 2016. The justice lens on taxation policy in Australia.St Mark's Review, (235), p.94. Miller, A. and Oats, L., 2016.Principles of international taxation. Bloomsbury Publishing. Platikanova, P., 2015. Debt Maturity and Tax Avoidance.European Accounting Review, pp.1-28. Santhanam, R., 2016. 51_Salaries and Income-Tax. Woellner, R., Barkoczy, S., Murphy, S., Evans, C. and Pinto, D., 2016.Australian Taxation Law 2016. Oxford University Press.