Monday, May 25, 2020

Romeo - A Character Profile From Romeo and Juliet

One of the original star-crossd lovers, Romeo is the male half of the ill-fated pair who drive the action in the Shakespearean tragedy, Romeo and Juliet. Much has been written about the origins of the character, as well Romeos influence on other young male lovers throughout Western literature, but rather than a role model to be emulated, Shakespeares Romeo is an enduring example of young love gone horribly wrong.   What Happens to Romeo The heir of the House of Montague, Romeo meets and becomes enamored with Juliet, the young daughter of the House of Capulet. Most interpretations of the story estimate Romeo to be about 16 years old, and Juliet to be just shy of her 14th birthday.  For reasons unexplained, the Montagues and Capulets are bitter enemies, so the young lovers know their affair will anger their families, however, the titular couple isnt interested in family feuds, and instead, they choose to pursue their passion.   While Romeo and Juliet secretly marry with the help of his friend and confidant, Friar Laurence, the two are doomed from the start. After Juliets  cousin Tybalt kills Romeos friend Mercutio, Romeo retaliates by killing Tybalt. For this, he is sent into exile, returning only when he hears of Juliets death. Unbeknownst to Romeo, Juliet—who is being forced to marry Paris (a wealthy suitor favored by her father) against her will—has come up with a scheme to fake her own death and be reunited with her true love. Friar Laurence sends a message to Romeo informing him of her plan, but the note never reaches Romeo. Romeo, truly believing Juliet is dead, is so heartbroken, he kills himself in a fit of grief, at which point, Juliet awakens from the sleeping draught shes taken to find Romeo is no more. Unable to bear the loss of her love, she too, kills herself—only this time, for real.   Origins of the Romeo Character Romeo and Juliet make their first appearance in Giulietta e Romeo, a 1530 story by Luigi da Porto, which was itself adapted from Masuccio Salernitanos 1476 work Il Novellino. All of these works can, in some way or other, trace their origins to Pyramus and Thisbe, another pair of ill-fated lovers found in Ovids Metamorphoses. Pyramus and Thisbe live next door to each other in ancient Babylon. Forbidden by their parents to have anything to do with one another—thanks again to an ongoing family feud—the couple nevertheless manages to communicate through cracks in the wall between the family estates. The similarities to Romeo and Juliet dont end there. When the Pyramus and Thisbe finally arrange a meeting, Thisbe arrives at the predetermined spot—a mulberry tree—only to find it being guarded by a menacing lioness. Thisbe runs away, accidentally leaving her veil behind. Upon arriving, Pyramus finds the veil, and believing the lioness has killed Thisbe, he falls on his sword—literally. Thisbe returns to find her lover dead, and then she too dies of a self-inflicted wound from Pyramus sword.   While Pyramus and Thisbe may not have been Shakespeares direct source for Romeo and Juliet, it was certainly an influence on the works from which Shakespeare drew, and he used the trope more than once. In fact, Romeo and Juliet was written in a concurrent timeframe to A Midsummer Nights Dream, in which Pyramus and Thisbe is staged as a play within a play—only this time for comedic effect. Was Romeos Death Fate? After the young lovers die, the Capulets and Montagues finally agree to end their feud. Shakespeare leaves it mostly to his audience to decide whether or not Romeo and Juliets deaths were predestined as part of the legacy of their families longstanding enmity, or if perhaps the conflict might have been ended by more peaceful means had the families been willing to embrace love rather than hate.

Thursday, May 14, 2020

Greek Mythology An Oral Tradition - 1449 Words

Greek mythology was an oral tradition that began in the Bronze Age. Greek mythology was used as a means to explain the environment, the natural phenomena they witnessed, and the passing of time through days, months, and seasons (Cartwright). Around 700 BC, a poet named Hesoid, offered the first origin story of Greek mythology. The Theogony details an elaborate family tree of gods and goddesses who evolved from a primeval void and descended from Earth, the sky, the sea, and the underworld (History.com). Later Greek writers and artists used and elaborated these sources in their work and compiled ancient myths and legends for contemporary audiences (History.com). For the Greeks, these ancient gods and goddesses had control over every aspect of their lives. The ancient Greeks believed there were a great number of gods and goddesses. They could be kind or mean, angry or pleasant, cruel or loving (â€Å"Gods and Goddesses†). Olympian gods and goddesses looked like men and women and were vulnerable to human error (â€Å"Gods and Goddesses†). Temples and sanctuaries were built in honor of most gods and goddesses and festivals were held with parades, sports, sacrifices, and competitions. Each Greek god and goddess had a specific duty in the Earth (â€Å"Gods and Goddesses†). For the ancient Greeks, these gods and goddesses shaped their everyday lives. Greek myths, as any religious or non-written sources, were either believed or discounted by some people (Cartwright). Myths were certainly used forShow MoreRelatedGreek Lore Research Paper Outline1082 Words   |  5 Pages Greek Lore Research Paper Outline Folklore is a collection of stories passed down from generation to generation that include Legends, Myths, and Fairy Tales. Legends are traditional stories sometimes popularly regarded as historical but unauthenticated. Myths are traditional stories, especially one concerning the early history of a people or explaining some natural or social phenomenon, and typically involving supernatural beings or events. Fairy Tales are false stories that is meant toRead MoreGreek Mythology Vs Roman Mythology1256 Words   |  6 Pages Greek vs. Roman Mythology The line separating Greek and Roman mythology may seem very fine, but there are actually a few distinct differences between the two. For example, the Greeks and Romans both presented many of their stories orally, however, the Greeks were the first people to begin writing them down. Greek mythology is superior as it puts more emphasis on the role of mortals, the appearance of gods is more relevant, and its origin is more interesting as it was original and came before theRead MoreOrder From Chaos : Analyzing And Evaluating The Hellenic Creation Myth Through The Lens Of Biblical Tradition1384 Words   |  6 PagesChaos: Analyzing and Evaluating the Hellenic Creation Myth through the Lens of Biblical Tradition Greek mythology is often understood through the lens of analyzing a dead religion; it is assumed that the influence of such myths is passive and fixed, only effecting the lives of those already long gone, whereas the very nature of such myths is to be active, dynamic, and illuminative. I, like many others with Greek heritage, rarely engage actively with the ancient Hellenic myths. Despite this, it isRead More Definition Essay1002 Words   |  5 PagesDefinition Essay The origin of the word myth seems to be a myth in itself. 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The first few lines of the Odyssey is the narrator asking a Muse to help him tell the story of Odysseus. The story is also filled with dialogue, which might indicate that it is a form of theatre and that these lines were performed orally. From the first few lines, the Odyssey could beRead MoreGreek Mythology And The Mythology1154 Words   |  5 Pagesand lessons of Greek mythology have shaped art and literature for thousands of years. Later Greek writers and artists used and elaborated upon these sources in their own work. Did you know that in ancient Greece, stories about gods and goddesses and heroes and monsters were an important part of everyday life. They explained everything from rituals to the weather, and they gave meaning to the world people saw around them. Many consumer products get their names from Greek mythology. For example sportsRead MoreGreek Culture : Ancient Greece1688 Words   |  7 PagesGreek Culture The Greek culture is a culture that I have always found very interesting because of the way it has evolved. The Greeks are very proud of their culture and they speak of their country with an intense passion. There are many things that are a major part of the Greek culture such as: religion, music, language, food, wines, and traditions (â€Å"History of Greece†). There are many factors that play a role in the creation of the Greek culture such as: religion, culture, history, and othersRead MoreTrickster-God-Creator1433 Words   |  6 PagesTricksters appear in the mythology and folklore of many cultures around the world. Although the power and relative divinity of each Trickster varies from tradition to tradition, Tricksters have important roles in the creation, development, and sometimes destruction, of each culture. The Coyote of Native North American traditions is often depicted as assisting the â€Å"Great Mystery† or â€Å"Great Spirit† in the creating a nd populating of the world (Leeming). In the Greek myths Hermes is initially a sly infant

Wednesday, May 6, 2020

A Successful Business Turn Your Passion Into Profits Essay

How To Start And Grow A Successful Business - Turn Your Passion Into Profits By Krisz Rokk | Submitted On January 01, 2013 Recommend Article Article Comments Print Article Share this article on Facebook 1 Share this article on Twitter Share this article on Google+ Share this article on Linkedin Share this article on StumbleUpon Share this article on Delicious Share this article on Digg Share this article on Reddit Share this article on Pinterest Expert Author Krisz Rokk More than 60 percent of businesses close doors within the first year of starting operations because of a number of constraints. For you to start a business and succeed, you need to have a lot of determination, resilience, self-discipline and focus. Businesses such as Apple were able to succeed because their founders had adequate focus and inner drive to take the business to the next level. Here are eight key things you should know to start and grow a successful business: 1. Follow Your Inner Passion As a matter of fact, achieving success in life is not a prerequisite for those who want to be happy. However, happiness is mandatory if success is to be achieved. Success is achieved by those who love what they are doing. It is advisable for anyone who wants to start a business to select something that he or she loves the most, but this should be something that has a market. If you choose something that can t sell, there is high probability that your efforts will never pay off. 2. Work on YourShow MoreRelatedTurn Your Passion Into Profits Essay716 Words   |  3 PagesTurn Your Passion Into Profits By Marcia Weider Jul 2, 2011 In business, dreaming is serious business and the driving force for transformation. Without vision companies fail, and without our personal vision, our dreams, our lives, can become mundane, redundant -- even stagnant. When we are in touch with our passion we have more energy, enthusiasm and creativity. In a business context passion sells. Wouldn t you rather do business with people who enjoy what they are doing rather than someoneRead MoreInnocent Drinks : A Company1294 Words   |  6 Pagesfirst began selling their smoothies at a music festival, due to the popularity of their smoothies they began to develop their business and got a  £250,000 investment from a wealthy business man. The company have now grown from 3 men, to a 350 people team who work across the whole of Europe with the drinks available in 50 different countries, this has helped the company have a turn over of more than  £200 million per year. In 2009 innocent drinks sold a stake of 10-20% to The Coca-Cola company for  £30 millionRead MoreLeadership Case Study1016 Words   |  5 Pagesrunning very successful by Walton and far exceeding expectations. Walton continued his retail business that he loved by overcoming many ups and downs. 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Tuesday, May 5, 2020

Lump Sum Payment Was Recurring In Nature †Myassignmenthelp.Com

Question: Discuss About The Lump Sum Payment Was Recurring In Nature? Answer: Introducation Eric has procured etc various assets like collectibles, personal use assets, in the last year and because of appropriate information in the question, it is assumed that such assets are not held more than a year. As a result, the indexation advantage cannot be availed by Eric owing to such holding period and when the sale value of such assets exceed their acquisition cost, they become liable for capital gains tax (ATO, 2017). The reason behind the purchase of personal assets can be attributed to the fact that these facilitate self-use and enjoyment. Furthermore, if the procurement expense of these assets is more than $10000, then the capital gain tax shall incur on the sale of such assets. Eric has purchased a home sound system for $12000 in the given case. In addition, collectibles have been purchased for personal benefit as well and if their procurement expense is more than $500, then taxability of capital gain tax must incur upon the same (ATO, 2017). Eric has purchased collectibles like painting, an antique vase, and antique chair respectively. It can also be witnessed from the case that he has purchased some shares in a listed company that pursues a procurement expense of $5000. For computation of capital gain, the sales proceeds must be deducted from the procurement cost of the assets List of assets acquired by Eric Sale consideration Procurement expense of such assets Net capital loss or gain Antique Chair $3,000 $1000 $2000 Loss Antique Vase $3000 $2,000 $1000 Painting $1000 $9,000 $8000 Loss Home sound system $11000 $12,000 $1000 Loss listed company shares $20000 $5,000 $15000 Net capital gain= $5000 Based on the above computation, it can be seen that the losses for the year have been set-off with the income in the same year so that net capital gain can be determined. Furthermore, it must also be noted that the above-mentioned assets have formed part of the computation because their acquisition cost is more than what is specified for taxability of capital gain. Overall, after considering all such scenarios, the net capital gain comes to $5000 for Eric in the given year. It can be seen in the given case that Brian has been offered a loan of $1 million from his employer at a very special rate of interest that is repayable in monthly installments. This criterion is similar to that of a loan fringe benefit because, in this benefit, the employer attempts to offer his employee a loan at a special rate of interest (lesser than that of the required rate of interest). Sometimes, in such benefit, no interest is charged from the employee (Pratt Kulsrud, 2013). Thus, since in the given question as well, the criterion prevails, the loan offered to Brian will be considered a loan fringe benefit. Furthermore, to compute the taxability of such benefit, such required interest rate must be known and since the question does not specify the same, the interest rate on April 1, 2016, shall be considered the statutory or required interest rate. On April 1 2016, the rate was 5.65% respectively. The taxable amount of such benefit will be computed here without accounting for the deductible rule. For such purpose, the loan interest (actual interest) will be deducted from the loan interest (required or statutory interest). Therefore, loan interest (actual interest) = $1000000 * 1% = $10,000. Similarly, the loan interest (statutory) = $1000000 * 5.65% = $56,500 Taxable amount is equal to $56,500 - $10,000 that amounts to $46,500 The loan interest (required or statutory interest rate) will be computed after assuming that the same was actually payable by Brian. Hence, it amounts to $10,00,000 * 5.65% that gives $56,500 The loan amount of one million obtained by Brian has been utilized for meeting future obligations and other income generating purposes. He has used around forty percent of such loan. Therefore, the amount of hypothetical tax-deductible interest expenses will amount to $56,500 * 40% that gives $22,600 respectively. In this step, the same criterion as mentioned above will be considered, except the fact that the interest expense will not be hypothetical and instead, it will be the actual interest amount. Therefore, it shall amount to $10,000 * 40% that gives $4000 The amount obtained in step (d) will be subtracted from the amount obtained in step (c). Hence, it will amount to $18,600 ($22,600 - $4000) The final amount will be computed by subtracting the amount derived in step (e) from the amount in step (a). Therefore, this amounts to $27,900 ($46,500 - $18,600). Instead of monthly installments, if the interest was repayable after the expiry of the loan, then the deemed time of such loan would be considered from the time when such interest was paid or it became payable as a whole. It can be observed from the given question that an agreement has been entered into betwixt Jack and Jill so that they can purchase a rental property with the borrowed money. Besides, based on the agreement, both are going to serve as joint tenants of the purchased property. However, if they decide to sell the same in the upcoming future, Jill shall obtain 90% of the profits while Jack will attain the rest. In addition, if there is no gain from the sale of such property, the entire amount of loss shall be borne by Jack alone (Renton, 2005). Nevertheless, it can be seen that the loss amount of $10,000 incurred in the last year must be borne by Jack alone and the amount can either be added to his other income (if any) or can be carried forward in the next year. With the help of this right, Jack can easily make use of the loss amount to determine his total income for the year. Nonetheless, if the property is sold, there may be either a loss or income from the same. In the case of gain, both Jack and Jill shall share the profits but in the ratio of 10:90 and Jack can also utilize the losses incurred last year to set-off against the income accruing in the current year so that net income can be calculated. In contrast to this, if there is a loss from the sale of such property, Jill is under no obligation to bear the same because as per the agreement, the entire loss must be borne by Jack alone (Sadiq et. al, 2014). However, he can carry forward the same or set-off the same in order to ascertain his total income for the year. Therefore, on a whole, it can be concluded that in the given case, the sharing of profits is done in the ratio of 10:90 while the losses will be borne by Jack alone. Thus, the treatment of tax does not affect Jill in any circumstance and Jack remains always liable to bear the entire amount of losses in his books of accounts. The case of IRC v Duke of Westminster [1936] AC 1 assists in representing the principle that every person has full right to manage his accounts and financials that can allow him to minimize his total tax payable in a year. Besides, it is also mentioned in the case that if any person is successful in minimizing his total tax payable by the adoption of legal ways, then even the Commissioners of Inland Revenue does not have any right to stop them from doing so. The only requirement that this case law necessitates is that the documents depicting the truthfulness of the transaction must be genuine in nature and then the courts even cannot rely on some underlying framework to contradict their doings. Nevertheless, with due course of time, the significance of this rule has been lost because of the arrival of many other similar case studies in this regard (Adams, 2011). As a result, the viewpoint of people in relation to the observation of accounting and taxation affairs has become distinct in nature in the current situation. The utmost significance of this rule in the current scenario is that it plays a key role in preventing the organizations from influencing relevant material from the financial statements. This means that the rule assists every organization and individuals to operate their affairs in a genuine way (Adams, 2011). For instance, a business organization can make use of legal ways to write off its fixed assets to their respective carrying value so that the losses and debts that are exerting pressure over it can be avoided. In such a scenario, even if such business organization does not have proper relevant documents in regard to the same, then also it will be sufficient to just write off the fixed assets (Nethercott et. al, 2013). However, such business organization must not try to engage in illegal methods to manipulate their material information from the financial statements because this rule restricts them from doing so. The owner of a big piece of land accommodating hue pine trees intends to graze his sheep on such land but the prevalence of such trees obstructs him from doing so. Bill who is the owner wants to hire a logging company for the same so that the company can obtain as much as timber from his land and in return, he is compensated. In the first case, it can be seen that Bill intends to receive $1000 for every meter of timber cleared by the logging company. In this case, since a number of receipts is not provided, the same will be regarded as a revenue receipt. As a result, it must not attract capital gains tax (Cartwright, 2013). However, in the second case, it can be seen that Bill intends to receive $50000 as a lump sum amount for clearance of the entire trees from his land. This receipt is purely a capital receipt because of the following reasons: The receipt is incurred only after granting of a right by Bill to clear the entire trees from the land. It is not a small payment and instead, it is lump sum in nature. It is a non-recurring receipt because, after clearance of trees, they will take time to grow once again. Therefore, this receipt will be regarded as a capital receipt and hence, will attract capital gain tax as well. On a whole, even though in both the cases, Bill receives some amount of money, yet their nature is altogether distinct. Besides, the criterion of a capital receipt as mentioned above is not visible in the first case because it was not a lump sum payment and it was recurring in nature. In contrast to this, the second case occurs only after giving a right to the logging company and it can be treated as a sale of an asset to a company (Nethercott et. al, 2013). Whilst the first case is taxable at normal rates, the second case is taxable under capital gains. References Adams, J. (2011). What is The Difference Between Tax Avoidance and Tax Evasion?. Accessed September 19, 2017 from https://www.taxinsider.co.uk/680-What_is_The_Difference_Between_Tax_Avoidance_and_Tax_Evasion.html ATO. (2017). Capital Gain tax. Accessed September 20, 2017 from https://www.ato.gov.au/general/capital-gains-tax/ Cartwright, M. (2013). Death to the Australia Tax?. Accessed September 19, 2017 from https://www.ato.gov.au/Individuals/Deceased-estates/Being-an-executor/Tax-responsibilities Nethercott, L, Richardson, G Devos, K. (2013). Australian Taxation Study Manual. Oxford University Press Pratt, J.W Kulsrud, W.N. (2013). Federal Taxation. Penguin Publishers. Renton N.E, (2005) Income Tax and Investment. John Wiley Sons Australia Ltd Sadiq, K, Coleman, C, Hanegbi, R, Jogarajan,S, Krever, R, Obst, W, Ting, A. (2014). Principles of Taxation Law. Sydney