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U.S. Oil Reserves & the National Oilheat Research Alliance - - Bog - Nova Science Publishers Inc - Plusbog.dk

Narcotics Decriminalization - - Bog - Nova Science Publishers Inc - Plusbog.dk

Role of Corporate Venture Capital in Innovation - - Bog - Nova Science Publishers Inc - Plusbog.dk

FDA Review of Drug Applications - - Bog - Nova Science Publishers Inc - Plusbog.dk

Medical Device Excise Tax - - Bog - Nova Science Publishers Inc - Plusbog.dk

Health Insurance Exchanges Under the Affordable Care Act - - Bog - Nova Science Publishers Inc - Plusbog.dk

Federal Helium Program - - Bog - Nova Science Publishers Inc - Plusbog.dk

Costs of Land Registration in Ghana - - Bog - Nova Science Publishers Inc - Plusbog.dk

Alcohol Excise Taxes - - Bog - Nova Science Publishers Inc - Plusbog.dk

Flood & Homeowners Insurance - - Bog - Nova Science Publishers Inc - Plusbog.dk

Tennessee Valley Authority - - Bog - Nova Science Publishers Inc - Plusbog.dk

Health Insurance Exchanges & the Assistance Role of Navigators - - Bog - Nova Science Publishers Inc - Plusbog.dk

Health Insurance Exchanges & the Assistance Role of Navigators - - Bog - Nova Science Publishers Inc - Plusbog.dk

The fundamental purpose of a health insurance exchange is to provide a structured marketplace for the sale and purchase of health insurance. The authority and responsibilities of an exchange may vary, depending on statutory or other requirements for its establishment and structure. The Patient Protection and Affordable Care Act requires health insurance exchanges to be established in every state by January 1, 2014. The ACA provides certain requirements for the establishment of exchanges, while leaving other choices to be made by the states. Qualified individuals and small businesses will be able to purchase private health insurance through exchanges. Issuers selling health insurance plans through an exchange will have to follow certain rules, such as meeting the private market reform requirements in the ACA. While the fundamental purpose of the exchanges will be to facilitate the offer and purchase of health insurance, nothing in the ACA prohibits qualified individuals, qualified employers, and insurance carriers from participating in the health insurance market outside of exchanges. This book outlines the required minimum functions of exchanges, and explains how exchanges are expected to be established and administered under the ACA. The coverage offered through exchanges is discussed, and the book concludes with a discussion of how exchanges will interact with selected other ACA provisions.

DKK 722.00
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College Textbook Costs - Lou S Cousteau - Bog - Nova Science Publishers Inc - Plusbog.dk

College Textbook Costs - Lou S Cousteau - Bog - Nova Science Publishers Inc - Plusbog.dk

The rising costs of post-secondary education present challenges to maintaining college affordability. Textbooks are an important factor students need to consider when calculating the overall cost of attending college. In an effort to ensure that faculty and students have sufficient information about textbooks, Congress included requirements in the Higher Education Opportunity Act (HEOA) concerning publisher and school disclosures, as well as publisher provisions of individual course materials. The HEOA directed the Government Accountability Office (GAO) to examine the implementation of the new textbook provisions. This book addresses (1) the efforts publishers have made to provide textbook information to faculty and make bundled materials available for sale individually, and how these practices have informed faculty selection of course materials; and (2) the extent to which post-secondary schools have provided students and college bookshops access to textbook information, and what the resulting costs and benefits have been. To conduct this study, the GAO interviewed eight publishers representing over 85 percent of new U.S. higher education textbook sales, administrators at seven schools, four campus bookshops, two national campus retailers, faculty and student groups at three schools, and others with relevant expertise. GAO also reviewed websites of a nationally representative sample of schools, complaint data from Education, and relevant federal laws.

DKK 722.00
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Gun Control - - Bog - Nova Science Publishers Inc - Plusbog.dk

FDA Regulation of Tobacco Products - - Bog - Nova Science Publishers Inc - Plusbog.dk

FDA Regulation of Tobacco Products - - Bog - Nova Science Publishers Inc - Plusbog.dk

Last year, lawmakers reintroduced bipartisan, bicameral legislation (H.R. 1108, S. 625) to give the Food and Drug Administration (FDA) broad new authority to regulate the manufacture, distribution, advertising, promotion, sale, and use of cigarettes and smokeless tobacco products. Amended versions of both bills have been reported out of committee and await floor action in their respective chambers. The Secretary of Health and Human Services has stated in a July 21, 2008, letter that the Bush Administration "would strongly oppose this legislation." The Family Smoking Prevention and Tobacco Control Act was first introduced in the 108th Congress, the product of lengthy negotiations in which lawmakers sought to balance the competing interests of public health groups and Philip Morris, the nation''s leading cigarette company. While these organisations support the legislation, the FDA Commissioner, other tobacco manufacturers, and tobacco industry and convenience store associations have expressed concerns about the bills, which would create a new Chapter IX in the Federal Food, Drug, and Cosmetic Act (FFDCA) solely for the regulation of tobacco products. Among their many provisions, the measures would authorise FDA to: restrict tobacco advertising and promotions, especially to children; develop standards that require changes in tobacco product composition and design, such as the reduction or elimination of toxic chemicals; and require manufacturers to obtain agency approval in order to make reduced-risk and reduced-exposure claims for their products. In the mid-1990s, FDA claimed authority under the FFDCA to regulate cigarettes and smokeless tobacco products as delivery devices for nicotine, an addictive drug. The agency''s 1996 tobacco regulation was invalidated by the U.S. Supreme Court in March 2000. The Court concluded that Congress had clearly intended to preclude FDA from regulating tobacco products. It found that because the FFDCA prohibits the marketing of products that have not been found to be safe and effective, the statute would have required FDA to ban such manifestly harmful products as cigarettes and smokeless tobacco if the agency had jurisdiction over them. Such a ban, argued the Court, would plainly contradict congressional intent. The Supreme Court''s decision made it clear the Congress would have to enact legislation giving FDA statutory authority over tobacco products in order for the agency to assert jurisdiction. Lawmakers first drafted such language in the 105th Congress as part of legislation to implement the 1997 proposed national tobacco settlement.

DKK 608.00
1