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risk analyses outside of the tax context. Although the first two of these objections may apply to tax accrual work papers given their usefulness in
others. The theoretical premises of these accounts have tended not to matter much in what one might think of as their ideological work, as they
reorganization plan. There also are independent justifications for some distortive techniques, and the alternative to using them might be even worse
religious liberty, thereby creating the need to balance these two interests. Sec- tion 1557 could therefore limit certain forms of refusals that have
and the community they represent when they exercise their authority fairly.47 Legitimacy has important consequences, therefore, for the viability
interest in the extended timeline by virtue of their advertise- ments thereof.350 Absent facts demonstrating that these organizations held a property-like
necessary for protecting individual investors under the BIT.35 These themes represent larger differences in their purposes. For example, one purpose
bankruptcy proceedings—and they cannot thereaf- ter assert their discharged claims against the debtor or the debtor’s property.160 Indeed, another
bankruptcy proceedings—and they cannot thereaf- ter assert their discharged claims against the debtor or the debtor’s property.160 Indeed, another automatic