Report possible fraud online at ftc.gov/complaint or by phone at 1-877-FTC-HELP. Details about the purchase — including what website you were visiting when you were redirected — are helpful to investigators.
These programs are called “scareware” because they exploit a person’s fear of online viruses and security threats. The scam has many variations, but there are some telltale signs. For example:
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The tax would not apply to the initial issuance of stock or debt securities, transactions in debt obligations with fixed maturities of no more than 100 days, or currency transactions (although transactions involving currency derivatives would be taxed). The tax would be imposed on transactions that occurred within the United States and on transactions that took place outside of the country, as long as any party to an offshore transaction was a U.S. taxpayer (whether a corporation, partnership, citizen, or resident). The tax would apply to transactions occurring after December 31, 2017. This option would be effective a year later than nearly all of the other revenue options analyzed in this report to provide the government and firms sufficient time to develop and implement the new reporting systems that would be necessary to accurately collect the tax.
One argument in favor of a tax on financial transactions is that it would significantly reduce the amount of short-term speculation and computer-assisted high-frequency trading that currently takes place and direct the resources dedicated to those activities to more productive uses. Speculation can destabilize markets and lead to disruptive events, such as the October 1987 stock market crash and the more recent “flash crash” that occurred when the stock market temporarily plunged on May 6, 2010. Although neither of those events had significant effects on the general economy, the potential exists for negative spillovers from future events.
In addition, traders would have an incentive to reduce the tax they must pay either by developing alternative instruments not subject to the tax or by moving their trading out of the country (although offshore trades by U.S. taxpayers would be taxed). Such effects would be mitigated if other countries enacted financial transaction taxes; currently, many members of the European Union are considering implementing such a tax.
The tax could also have a number of negative effects on the economy stemming from its effects on asset prices and the frequency of trading. Traders and investors would seek to recoup the cost of trading by raising the return they require on financial assets, thereby lowering the value of those assets. However, because the tax would be small relative to the returns that investors with long-term horizons could earn, the effect on asset prices would be partly mitigated when traders and investors reduced the frequency of their trading, which would have a trade-off in terms of lowering liquidity and reducing the amount of information reflected in prices. Consequently, investment could decline (leaving aside the positive effects of higher tax revenues lowering federal borrowing and thus increasing the funds available for investment) because of the following: the increase in the cost of issuing debt and equity securities that would be subject to the tax and the potential negative effects on derivatives trading that could make it more difficult to efficiently distribute risk in the economy. The cost to the Treasury of issuing federal debt would increase (again, leaving aside the effects of deficit reduction) because of the increase in trading costs and the reduction in liquidity. Household wealth would decline with the reduction in asset prices, which would lower consumption.
CBO periodically issues a compendium of policy options (called Options for Reducing the Deficit) covering a broad range of issues, as well as separate reports that include options for changing federal tax and spending policies in particular areas. This option appears in one of those publications. The options are derived from many sources and reflect a range of possibilities. For each option, CBO presents an estimate of its effects on the budget but makes no recommendations. Inclusion or exclusion of any particular option does not imply an endorsement or rejection by CBO.
The tax would increase revenues by $707 billion from 2017 through 2026, according to estimates by the staff of the Joint Committee on Taxation (JCT). The option would result in a revenue loss in 2017 because the transaction tax would lower the value of financial assets and thus lower capital gains. JCT assumes that, until 2020, when all reporting systems are expected to be in place, financial transactions will be underreported. Revenues would be lower if implementation of the option was phased in because of delays in developing the new reporting systems. (Because a financial transaction tax would reduce the tax base of income and payroll taxes, it would lead to reductions in revenues from those sources. The estimates shown here reflect those reductions.) The additional revenues generated by the option would depend significantly on the extent to which transactions subject to the tax fell in response to the policy.
The United States is home to large financial markets, with hundreds of billions of dollars in stocks and bonds—collectively referred to as securities—traded on a typical business day. The total dollar value, or market capitalization, of U.S. stocks was roughly $23 trillion in March 2016, and about $265 billion in shares is traded on a typical day. The value of outstanding bond market debt was about $40 trillion at the end of 2015, and average trading volume in debt, concentrated mostly in Treasury securities, amounts to over $700 billion on a typical day. In addition, large volumes of derivatives—contracts that derive their value from another security or commodity and include options, forwards, futures, and swaps—are traded on U.S. financial markets every business day. None of those transactions are taxed in the United States, although most taxpayers who sell securities for more than they paid for them owe tax on their gains.
This option would take effect in January 2018.
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Explore further: Heart disease, stroke risk estimator app now available for health care professionals
This approach to personalized estimation of benefits from risk-reducing therapies may represent the next wave in clinical practice to help target therapies to those in whom they will provide the greatest benefit.
"This tool will help clinicians and patients with shared-decision making and will aid in the understanding of how the ABCS may help to reduce risk," said Lloyd-Jones.
The Million Hearts Initiative, developed by the United States Department of Health and Human Services (HHS) and supported by the ACC and AHA, aims to prevent 1 million heart attacks and strokes by 2017 through the management of the "ABCS"—aspirin therapy, blood pressure control, cholesterol management and smoking cessation. In support of the Million Hearts Initiative, the Center for Medicare and Medicaid Innovation (Innovation Center), a part of CMS, is testing a large-cluster randomized payment model test of value-based payment—the Million Hearts Cardiovascular Disease (CVD) Risk Reduction Model—to determine whether financially rewarding clinicians for reducing 10-year predicted risk for ASCVD across their patient population is an effective way to reduce first-time heart attacks and strokes. Over 500 applicant organizations were selected to participate in the Million Hearts Model. In order to help test this Model, CMS funded the development of the Million Hearts Longitudinal ASCVD Risk Assessment tool, in partnership with the ACC and AHA, to improve on the ACC/AHA Pooled Cohort Equations risk estimator, currently used by the practices participating in the Model. In the study, the tool aims to provide a framework for delivering appropriate risk-reducing strategies to Medicare patients with a 10-year ASCVD risk >30 percent.
David C. Goff et al. 2013 ACC/AHA Guideline on the Assessment of Cardiovascular Risk, Circulation (2014). DOI: 10.1161/01.cir.0000437741.48606.98
To create the new tool, the Innovation Center's Million Hearts CVD Risk Reduction Model partnered with the chairs of the writing committee for the 2013 guideline, David C. Goff, Jr. MD, PhD, FAHA and Donald M. Lloyd-Jones, MD, ScM, FACC, FAHA. The tool is not a replacement for the ACC/AHA Pooled Cohort Equations risk estimator. Rather, the risk estimator is incorporated into the initial risk assessments of patients in the Model. The committee added existing evidence to extend the risk equation.
In popular culture edit
Chain sheets are arranged with calls on the left hand side of the list of options and puts on the right hand side. In some chain sheet versions, the calls and puts are in a single list but the format below is more common.
The number of contracts of a call or put at a specific strike price currently held by other investors.
The number of contracts of a call or put at a specific strike price bought and sold today.
Depending on your broker, there may be several other columns for each option contract. This extra information may include last trade price, implied volatility or some of the option Greeks. The most critical information, however, is contained in items 1-5 of the chain sheet.
In this article, we will be using a typical chain sheet for the stock Microsoft Corp (MSFT) for demonstration. Keep in mind that every online broker uses a slightly different version of a chain sheet. However, they are similar enough that it is usually not a challenge for a trader to shift from one version to another.
Each element of the chain sheet are described below. The numbers reference each element’s position on the image below.
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Note: this story was complied with reports from Leah Zitter and Elvis Picardo.
Guru adds are commonplace, and sadly people fall for them easily. These false ads usually show you how the ‘expert’ became rich through a special ‘secret’ and acquired materialistic success, such as glitzy cars, lakefront houses, and boats. The ‘expert’ promises to share his penny stock trading secrets with you for a ‘one-time’ low sum. If someone dubs himself a guru or promises to make you rich, trash that email or envelope. There is no “one-size-fits-all" path to riches, and certainly not in the stock market. In a similar way, avoid those schemes that promise you unlimited success from a once-in-a-lifetime product or invention that claims to be the next Thomas Edison invention.
Penny stocks are a huge gamble—you could have better odds of seeing a profit by visiting a casino than you would by dabbling in penny stocks. Despite the short-term potential for gains, stick to a sustainably profitable approach by buying shares in proven companies with strong track records. If you want to allocate some capital to speculative plays, then it may be best to look at companies trading between $3 and $5, but only pull the trigger after substantial research that leads to conviction in your position. (For related reading, see: What is the Difference Between a Penny Stock and a Small-Cap Stock?)
This is when scammers sell shares of a company, stipulating that investors cannot sell the shares for a certain amount of time. The investors buy because they are fooled into thinking there is huge and continuing demand for this stock. By the time the U.S. Securities and Exchange Commission (SEC) shutters these companies, investors are left with nothing.
This is the opposite of the pump-and-dump. Scammers use short-sell to make a profit. Shorting works when the investor borrows shares and immediately sells them in the open market at a high price, hoping the company stock falls so he can later scoop up sold shares at a lower price. He then returns these shares to the lender and nets a profit. Penny stock scammers short-sell a stock and make sure the stock falls by spreading false and damaging rumors about the company. Investors hold a losing stock, while short-sellers make money through their short-selling trick.
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Please note how the rule A + 1 = 1 was used to reduce the (B + 1) term to 1. When a rule like “A + 1 = 1” is expressed using the letter “A”, it doesn’t mean it only applies to expressions containing “A”. What the “A” stands for in a rule like A + 1 = 1 is any Boolean variable or collection of variables. This is perhaps the most difficult concept for new students to master in Boolean simplification: applying standardized identities, properties, and rules to expressions not in standard form.
To summarize, here are the three new rules of Boolean simplification expounded in this section:
The next rule looks similar to the first one shown in this section, but is actually quite different and requires a more clever proof:
To this end, there are several rules of Boolean algebra presented in this section for use in reducing expressions to their simplest forms. The identities and properties already reviewed in this chapter are very useful in Boolean simplification, and for the most part bear similarity to many identities and properties of “normal” algebra. However, the rules shown in this section are all unique to Boolean mathematics.
This rule may be proven symbolically by factoring an “A” out of the two terms, then applying the rules of A + 1 = 1 and 1A = A to achieve the final result:
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For instance, the Boolean expression ABC + 1 also reduces to 1 by means of the “A + 1 = 1” identity. In this case, we recognize that the “A” term in the identity’s standard form can represent the entire “ABC” term in the original expression.
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Show / Hide view of columns in only section of word document
At that point, your bulleted list should be in two columns and the rest of your document can continue with one column.
To clarify Mike H's excellent answer, the use of the continuous section break is vital. Otherwise, the rest of the document will be in columns.
Is there any way to make 2 side by side independent lists aside from using a table?