Public Health

Identify an innovative solution that is cutting edge and research it’s advantage to Public Health especially during these times of a Pandemic.

 

Sample Solution
In response to the COVID-19 pandemic, many digital tools have been developed to assist with contact tracing and case identification. Accordingly, WHO (2020) demarcates these tools for deployment in outbreak response, proximity tracing, and symptom tracking tools, which can be combined into one instrument or used as stand-alone tools. Outbreak response tools are designed for public health response personnel involved in contact tracing activities and outbreak investigations. They encompass the management of complex relational data of cases and their contacts through electronic data entry of case and contact information. Outbreak response tools can be used to facilitate all aspects of contact tracing, including case investigation, listing and monitoring of contacts, and automating analysis and performance monitoring.

prohibiting tax advantages when tax considerations were the only way to determine the taxpayer’s legal behaviour and there was no other credible explanation based on objectively ascertainable facts. The second involves a doctrine in which tax considerations may be the principal (or one of the principal reasons) for explaining the taxpayer’s behaviour. In failing to make this distinction, the Court is seen to interpret the rule of “principal” or “one of the principal” tax reasons as formulated in Article 11 of the Directive as the expression of the “one and only” doctrine of Cadbury Schweppes.

The Court then essentially gave the power of decision making back to the national court. By doing this, it left open the possibility for the national courts to control how the anti-abuse doctrine applied. This in turn gave the Directive provision a “reverse vertical direct effect”; it allowed the Member State to rely on it against an individual without transposition.

5.4 Acceptance as an overriding principle of EU law
Halifax and Koefed provide the framework provide a clear acceptance of the principle of abuse of EU law as a general principle. Thus,

5.5 The influence of Halifax in direct taxation: Cadbury Schweppes and “wholly artificial arrangements”
Cadbury Schweppes (CS) became the paradigmatic example of the difficulties Member States come up with in order to preserve traditional fiscal systems in a common market contest. Even though CS concerned cross-border issues and the fundamental freedom of establishment, the Court effectively imported the Halifax test, albeit with slight differences.

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