References in periodicals archive ?
Deem's platform includes Deem Work Fource and Deem Ground Work, a suite of online booking and travel technology products for business travelers, travel managers, travel-management companies and suppliers.
Enterprise Holdings, a car rental provider, has completed the purchase of Deem, a managed-travel technology platform.
Following the announcement of groundbreaking a partnership with the National Limousine Association (NLA), Deem has signed agreements with scores of operators, including nearly half of the top 100 operators by volume, spanning more than 80 countries and 700 cities.
Deem is the leading Commerce-as-a-Service (CaaS) company.
Under New York law, in order for a landlord's refusal to consent to an assignment or sublease to withstand judicial scrutiny and be deemed "reasonable," it must be based on "objective criteria", i.e., readily measurable criteria of a proposed assignee's or subtenant's acceptability from the view point of any landlord.
Enterprise Holdings, a company that operates the Enterprise Rent-A-Car, National Car Rental and Alamo Rent A Car brands, is planning to acquire San Francisco-based Deem, a travel technology platform that includes Deem Work Fource and Deem Ground Work, a suite of online booking and travel technology products for business travellers, travel managers, travel-management companies and suppliers.
Deem and the Limousine Association of New Jersey (LANJ) said that LANJ recommends Deem Car Service as a technology provider for its 130 association members.
In many cases, the proposal (in proposed subsection 93(1.4) of the Act) would have deemed the shares transferred to be outside the definition of"excluded property." Consequently, any gain realized by an affiliate on the disposition of the shares (in excess of the amount eligible for a section 93 deemed dividend election) would create foreign accrual property income (FAPI), which is taxed immediately in the hands of the Canadian shareholder if the affiliate is a controlled foreign affiliate.
In addition, draft subsection 94(3) contains a surprisingly broad rule that applies for the purpose of the NRE definition (and other specified purposes) to deem certain non-resident trusts to be resident in Canada if a person resident in Canada has made a direct or indirect transfer or loan to the trust.
M2 EQUITYBITES-January 18, 2019--Enterprise Holdings plans to acquire Deem
In either case, the general intent of the FIE Rules is to ignore shares and debt owned by an NRE in its affiliates for purposes of the 50-percent investment property test, and to deem the NRE to own a proportional amount of the affiliates' assets.