Xxxxxxxxxx and Xx Sample Clauses

Xxxxxxxxxx and Xx. Xxxx will cover for one another during their scheduled time off, including vacation time and time for professional development and conferences.
Xxxxxxxxxx and Xx. X. Schipprack from the Professorial Chair for Applied Genetics and Plant Breeding at UHOH, Germany.
Xxxxxxxxxx and Xx. Xxxx will cover for one another during their scheduled time off, including vacation time and time for professional development and conferences. This time will amount to approximately six weeks per year. Annual Fee 2: 🞎 $1,500 per year per individual 🞏 $410 per quarter per individual (Quarterly Plan)
Xxxxxxxxxx and Xx. Xxx received Order WR-2015-022-DWR on May 8 and 15, 2015, respectively. Response was due from both no later than June 15, 2015. On July 2, 2015, Xx. Xxx provided a partial response, but did not reflect actual diversion amounts for 2014 or 2015 (to that date), nor documentation for the claimed riparian right, nor claim of pre-1914 right, nor any use of contract water. Xx. Xxx submitted additional information pursuant to the Order beginning on November 18, 2015, with additional submittals during December, 2015, April, 2016, and August, 2016. Xx. Xxxxxxxxxx did not submit any response to the Order, and contends that his response, as far as the right claimed, the supporting documents for the right, and the amounts diverted, was included in Xx. Xxx’x responses.
Xxxxxxxxxx and Xx. Xxxxxxx analyzed two scenarios: a hypothetical worst case wetness condition with the fills as they were just prior to the 1959 highway realignment; and the conditions observed on the day of the derailment. 130 For the pre-1959 highway realignment scenario, Xx. Xxxxxxxxxx and Xx. Xxxxxxx assumed that there were surface water controls in place up the slope from the highway fill. They found that the railway fill was not wetted significantly until the wetted area above the highway exceeded about 200 square metres. 131 Their modelling of the scenario for the day of the derailment predicted that the railway fill would become nearly totally saturated with ground water in the area of the slide. The level of the water table in the second scenario was five to six metres higher than in the first scenario at the toe of the railway fill. 132 Xx. Xxxxxxxxxx, as I have noted, took his geometry from cross-sections prepared by Xx. Xxxx- xxx. Despite that, in the area of a critical cross-section (BGC-3), Xx. Xxxxxxxxxx assumed there was between two and four metres of fill-on-fill. In fact, Xx. Xxxxxxx'x geometry does not show any fill- on-fill at all on this cross-section. Xx. Xxxxxxxxxx conceded that, "there may be a mistake on that cross-section 3" (evidence of February 10, 2003, p. 52). Since this cross-section is on the northern flank of the gully where CN says the initial failure occurred, it has a significant and negative impact on the weight to be accorded to Xx. Xxxxxxxxxx'x opinion. 133 In other respects, Xx. Xxxxxxxxxx'x opinion departs markedly from that of Xx. Xxxxxxx. 134 He has not attempted to assign hydraulic conductivity values to the individual fills, preferring to assign one uniform value to all of the fill. 135 The native soil conductivity in Xx. Xxxxxxxxxx'x report is lower than that in Xx. Xxxxxxx'x model. 136 Xx. Xxxxxxxxxx makes no distinction between the hydraulic conductivity of the surficial ma- terials in the gully thalweg and the materials on the flank; in Xx. Xxxxxxx'x model, the distinction is critical. 137 The uniform hydraulic conductivity value applied by Xx. Xxxxxxxxxx to the fills was 2.5 times less conductive than the value assigned to the highway fill by Xx. Xxxxxxx. For the gully thalweg, Xx. Xxxxxxxxxx'x assumed hydraulic conductivity value was 35 times less conductive than that of Xx. Xxxxxxx. 138 Xx. Xxxxxxxxxx assumed that about one-third less water in the form of "base flow" was enter- ing the model in 1959 than in 1997. This assu...
Xxxxxxxxxx and Xx. Xxxxx have experience in shaping partnerships and education opportunities for students in similar settings as the Juvenile Detention Centers. HHS will continue the work that was seeded by DeLaSalle, namely the progress headed by Xx. Xxxxxxx Xxxx, Chief Officer of Data & Accountability. Head Heart and Soul will work on the plan from November, 2024 to January, 2025. Both of these leaders are members of Men of Color in Leadership (MCEL) and Brothers Liberating the Community (BLOC).
Xxxxxxxxxx and Xx. Xxxxx: Further to a loan agreement signed in April 1988, please be advised that it is M-tron's intention to exercise its option commencing October 1, 2000 and expiring September 30, 2003 We await you word on the exact rate as determined in the lease and remain. Yours sincerely, /s/ Xxxxx X. Xxxx ----------------- Xxxxx X. Xxxx Xx. VP Finance DLR:pjk J & R Properties 0000 Xxxxxxx Yankton, SD 57078 August 28, 2000 M-Tron Industries Attn: Xxxxx Xxxx XX Xxx 000 Xxxxxxx, XX 00000 Dear Xx. Xxxx Thank you for your correspondence regarding M-Tron's intention to exercise its option for lease commencing October 1, 2000 and expiring September 30, 2003. We would like to renew the lease for this period at the rate of $2,255.00 per month with other terms and conditions of the lease remaining the same. Please let us know at your earliest convenience if this is acceptable.
Xxxxxxxxxx and Xx. X. Morel (UB). Besides, one or more External Examiners will be nominated by the member Institutions and approved by the AAB. AAB is in charge of the:
Xxxxxxxxxx and Xx. Xxx Xxx Xxx.
Xxxxxxxxxx and Xx. Xxxxx X. Cameron-Doe is interested in less than 1% of the outstanding shares of WRL.