Employee conflict disclosures and investment restrictions expand with new recusal duties, post-employment limits, and compliance reporting requirement...
Revenue-neutral domestic transfer pricing and mirror transactions justified deletion of related-party adjustments for operation, maintenance and port ...
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Regular bail under the Prevention of Money Laundering Act remained subject to the statutory twin conditions, which the petitioner did not attempt to satisfy. The High Court noted allegations that homebuyers' funds were diverted through group concerns, repeated evasion of summons and warrants, and an attempted flight on apprehension, supporting the assessment of flight risk. It found that trial had reached cognizance and was due to commence without foreseeable prosecutorial delay; custody was not substantial in the circumstances. Bail granted to a co-accused did not establish parity. Regular bail was therefore refused.
Regular bail under the Prevention of Money Laundering Act remained subject to the statutory twin conditions, which the petitioner did not attempt to satisfy. The High Court noted allegations that homebuyers' funds were diverted through group concerns, repeated evasion of summons and warrants, and an attempted flight on apprehension, supporting the assessment of flight risk. It found that trial had reached cognizance and was due to commence without foreseeable prosecutorial delay; custody was not substantial in the circumstances. Bail granted to a co-accused did not establish parity. Regular bail was therefore refused.
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