This question is about the formation of OSPF adjacency. An OSPF adjacency will not form correctly across a point-to-point link in the same area. Which would most likely cause this problem?()
第1题:
A.yes-no question
B.or question and wh-question
C.yes-no question
D.tag question and wh-question
第2题:
____________
[A] progress [B] fact [C] need [D] question
本题测试词组搭配,in progress 意为“进行中”;in fact 意为“事实上”; in need意为“在危难中”; in question 意为“正在被讨论的”,前一句正在谈论 “ group群体” ,本句衔接上一句表达“正在被讨论的这个群体”,所以选D
第3题:
A、raise
B、be raised
C、rise
D、be risen
第4题:
A.in the English
B.in English
C.with English
第5题:
There is an interview question: maybe you had a situation where you had a difficult team to work in, would you please provide me with an example of it? Which type does that question belong to?
A.The situational question.
B.The behavioral question.
C.The puzzle question.
D.The background question.
第6题:
A.that
B.if
C.when
D.whether
第7题:
先决问题(preliminary question)
又称附带问题(incidental problem),是指一国法院在处理国际私法的某一项争讼问题时,如果必须以解决另外一个问题为先决条件,便可把该争讼问题称为"本问题"或“主要问题”(principal question),而把需要首先解决的另一问题称为“先决问题”或“附带问题”。
第8题:
A、/
B、to
C、with
D、on
第9题:
(iii) The effect of the restructuring on the group’s ability to recover directly and non-directly attributable input
tax. (6 marks)
You are required to prepare calculations in respect of part (ii) only of this part of this question.
Note: – You should assume that the corporation tax rates and allowances for the financial year 2006 apply
throughout this question.
(iii) The effect of the restructuring on the group’s ability to recover its input tax
Prior to the restructuring
Rapier Ltd and Switch Ltd make wholly standard rated supplies and are in a position to recover all of their input tax
other than that which is specifically blocked. Dirk Ltd and Flick Ltd are unable to register for VAT as they do not make
taxable supplies. Accordingly, they cannot recover any of their input tax.
Following the restructuring
Rapier Ltd will be carrying on four separate trades, two of which involve the making of exempt supplies such that it will
be a partially exempt trader. Its recoverable input tax will be calculated as follows.
– Input tax in respect of inputs wholly attributable to taxable supplies is recoverable.
– Input tax in respect of inputs wholly attributable to exempt supplies cannot be recovered (subject to the de minimis
limits below).
– A proportion of the company’s residual input tax, i.e. input tax in respect of inputs which cannot be directly
attributed to particular supplies, is recoverable. The proportion is taxable supplies (VAT exclusive) divided by total
supplies (VAT exclusive). This proportion is rounded up to the nearest whole percentage where total residual input
tax is no more than £400,000 per quarter.
The balance of the residual input tax cannot be recovered (subject to the de minimis limits below).
– If the de minimis limits are satisfied, Rapier Ltd will be able to recover all of its input tax (other than that which is
specifically blocked) including that which relates to exempt supplies. The de minimis limits are satisfied where the
irrecoverable input tax:
– is less than or equal to £625 per month on average; and
– is less than or equal to 50% of total input tax.
The impact of the restructuring on the group’s ability to recover its input tax will depend on the level of supplies made
by the different businesses and the amounts of input tax involved. The restructuring could result in the group being able
to recover all of its input tax (if the de minimis limits are satisfied). Alternatively the amount of irrecoverable input tax
may be more or less than the amounts which cannot be recovered by Dirk Ltd and Flick Ltd under the existing group
structure.
第10题:
A、within
B、till
C、by
D、at