Federal Trade Commission Sample Clauses

Federal Trade Commission. 1. Airframes • Includes civilian and military airframes, helicopters, and airframe components
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Federal Trade Commission. The Issuer and its subsidiaries are in material compliance with applicable requirements of the Federal Trade Commission rules governing franchising and applicable provisions of federal, state, local and other U.S. laws or regulations governing the business of a franchise or that are applicable to their business as presently conducted, except in each case as would not reasonably be expected to have, individually or in the aggregate, a Material Adverse Effect. Any certificate signed by an officer of the Issuer or any Guarantor and delivered to the Initial Purchasers or to counsel for the Initial Purchasers shall be deemed to be a representation and warranty by the Issuer or such Guarantor to each Initial Purchaser as to the matters set forth therein.
Federal Trade Commission. By: By: Xxxxxxx Xxxxxxx Xxxx Xxx Vice Chairman and Chief Operating Officer Attorney Dated: , 2001 APPROVED: Xxxxxx X. Xxxx, Esq. Xxxxxx X. Xxxxx Xxxxxx, Xxxxxxxx, Xxxxx & Xxxxxxxx Deputy Assistant Director Counsel for Lafarge S.A. BLUE CIRCLE INDUSTRIES PLC By: Xxxxxxx Xxxx Head of Group Legal and Secretariat Xxxxxxx Xxxxxxxxxx Assistant Director Xxxxx X. Xxxxx Dated: , 2001 Director Bureau of Competition Xxxxxxx Xxxxxxxxxx, Esq. Xxxx & Xxxxxxxx Counsel for Blue Circle Industries PLC BLUE CIRCLE NORTH AMERICA INC. By: Xxxxxxxxx X. Xxxxx Vice President, Corporate Resources and Chief Financial Officer Dated: , 2001 Xxxxxxx Xxxxxxxxxx, Esq. Xxxx & Xxxxxxxx Counsel for Blue Circle Industries PLC BLUE CIRCLE INC. By: Xxxxxxxxx X. Xxxxx Vice President, Corporate Resources and Chief Financial Officer Dated: , 2001 Xxxxxxx Xxxxxxxxxx, Esq. Xxxx & Xxxxxxxx Counsel for Blue Circle Industries PLC Attachments Complaint
Federal Trade Commission. Interstate Commerce Commission. Securities and Exchange Commission. United States Maritime Commission.
Federal Trade Commission. Xxxxxxxx Xxxxxxx van den Xxxxx Xxxx X. Xxxxxx Chief Corporate Governance Counsel Xxxxxxxx Xxxx Koninklijke Ahold N.V. Attorneys Bureau of Competition Dated: APPROVED: Xxxxxx Xxxx, Esq. Xxxxxxx X. Xxxxx White & Case LLP Assistant Director Attorney for Koninklijke Ahold N.V. Bureau of Competition SAFEWAY INC. Xxxx X. Xxxx Deputy Assistant Director Bureau of Competition Xxxxxx X. Xxxxxx Senior Vice President, General Counsel & Corporate Secretary Dated: Xxxxxxx X. Xxxxxxxxx Director Bureau of Competition Xxxxxxx Xxxxxxxx, Esq. Attorney for Safeway Inc.
Federal Trade Commission. On April 27, 2004, Aames Financial Corporation received a civil investigative demand from the Federal Trade Commission that, although not alleging any wrongdoing, sought documents and data relating to Aames Financial’s business and lending practices. The demand was issued pursuant to an April 8, 2004 resolution of the FTC authorizing non-public investigations of various unnamed subprime lenders and loan brokers to determine whether there have been violations of certain consumer protection laws. Aames Financial believes it is in material compliance under applicable consumer protection laws. Aames Financial has cooperated and intends to continue to cooperate fully with the FTC in this investigation.
Federal Trade Commission. Xxxxxxxx X. Xxxxx President and CEO Xxxxx Xxxxxxxxxx Nufarm Limited Attorneys Northeast Regional Office Dated: , 2010 Bureau of Competition APPROVED: Counsel for Nufarm Limited Xxxxxxx X. Xxxxxx Dated: , 2010 Assistant Director Bureau of Competition Xxxxxxx Xxxxxxxxx Director
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Related to Federal Trade Commission

  • Origination Practices The origination practices used by the Seller and the collection and servicing practices used by the Servicer with respect to each Mortgage Loan have been in all respects legal and customary in the mortgage origination and servicing industry and the collection and servicing practices used by the Servicer have been consistent with Customary Servicing Procedures.

  • Collection Practices The collection practices used by the Servicer with respect to each Mortgage Note and Mortgage have been in all respects legal, proper and prudent in the mortgage servicing business;

  • Certain Practices 13 SECTION 2.12

  • Credit Reporting For each Mortgage Loan, the Company shall accurately and fully furnish, in accordance with the Fair Credit Reporting Act and its implementing regulations, accurate and complete information on its borrower credit files to each of the following credit repositories: Equifax Credit Information Services, Inc., TransUnion, LLC and Experian Information Solution, Inc. on a monthly basis.

  • Settlement Practices The Custodian shall provide to each Board the information with respect to custody and settlement practices in countries in which the Custodian employs an Eligible Foreign Custodian described on Schedule C at the time or times set forth on the Schedule. The Custodian may revise Schedule C from time to time, but no revision shall result in a Board being provided with substantively less information than had been previously provided on Schedule C.

  • SAFETY AND HEALTH 20.1 The Employer, employee and Union have a significant responsibility for workplace safety and health.

  • Foreign Corrupt Practices and International Trade Sanctions Neither the Company nor any Company Subsidiary, nor any of their respective directors, officers, agents, employees or any other persons acting on their behalf (i) has violated the Foreign Corrupt Practices Act, 15 U.S.C. § 78dd-1 et seq., as amended, or any other similar applicable foreign, federal, or state legal requirement, (ii) has made or provided, or caused to be made or provided, directly or indirectly, any payment or thing of value to a foreign official, foreign political party, candidate for office or any other person knowing that the person will pay or offer to pay the foreign official, party or candidate, for the purpose of influencing a decision, inducing an official to violate their lawful duty, securing any improper advantage, or inducing a foreign official to use their influence to affect a governmental decision, (iii) has paid, accepted or received any unlawful contributions, payments, expenditures or gifts, (iv) has violated or operated in noncompliance with any export restrictions, money laundering law, anti-terrorism law or regulation, anti-boycott regulations or embargo regulations, or (v) is currently subject to any United States sanctions administered by the Office of Foreign Assets Control of the United States Treasury Department.

  • Employment Practices Contractor agrees to abide by the following employment laws: (i)Title VI and VII of the Civil Rights Act of 1964 (42 U.S.C. 2000e) which prohibits discrimination against any employee or applicant for employment or any applicant or recipient of services, on the basis of race, religion, color, or national origin; (ii) Executive Order No. 11246, as amended, which prohibits discrimination on the basis of sex; (iii) 45 CFR 90 which prohibits discrimination on the basis of age; (iv) Section 504 of the Rehabilitation Act of 1973, or the Americans with Disabilities Act of 1990 which prohibits discrimination on the basis of disabilities; and (v) Utah's Executive Order, dated December 13, 2006, which prohibits unlawful harassment in the work place. Contractor further agrees to abide by any other laws, regulations, or orders that prohibit the discrimination of any kind of any of Contractor’s employees.

  • National Housing Act Subject to the terms and provisions of the Servicing Agreement referred to above, the Mortgage Loans hereby assigned will be administered and serviced by the Bank, as agent of Assignee, in accordance with the National Housing Act (Canada) and National Housing Regulations (Canada).

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