2008.08.15 16:32 Georgia, USA
2010.09.27 03:39 NoMoreNicksLeft Sources for seeds, plants, livestock breeds and other things you want to raise and grow!
2023.06.05 14:51 Averageauburncanuck Glamis Green Calgary SW, reviews please!
2023.06.05 14:51 Plastic-Syllabub2834 MOB
![]() | submitted by Plastic-Syllabub2834 to u/Plastic-Syllabub2834 [link] [comments] |
2023.06.05 14:50 Competitive-Air4439 Hi! Looking for advice on apartment complexes in Sandy Springs and Vinings areas.
2023.06.05 14:40 Then_Marionberry_259 JUN 05, 2023 MAG.TO JUANICIPIO ACHIEVES COMMERCIAL PRODUCTION
![]() | https://preview.redd.it/etpavd3v274b1.png?width=3500&format=png&auto=webp&s=62b53cc8413ecf8eb6ddbf03b926f93d3d3b353b submitted by Then_Marionberry_259 to Treaty_Creek [link] [comments] VANCOUVER, British Columbia, June 05, 2023 (GLOBE NEWSWIRE) -- MAG Silver Corp. (TSX / NYSE American: MAG) (“MAG” or “MAG Silver”) is pleased to announce that commercial production has been achieved at the Juanicipio Project (56% / 44% Fresnillo plc (“Fresnillo”) and MAG, respectively) effective June 1, 2023. Following a successful commissioning period, the Juanicipio mine, processing facility and other vital systems are operating in line with, or rapidly approaching design capacity. The Juanicipio mill is operating at approximately 85% of its design capacity of 4,000 tonnes per day (“tpd”) with silver recovery consistently above 88%. On a 100% basis, approximately 3.2 million ounces of silver have been produced from the Juanicipio processing facility from March 2023 to the end of May 2023, and production is expected to continue to increase steadily through Q3 where it is envisioned the plant will be running at design capacity. All major construction activities have now been completed and Juanicipio is demonstrating its ability to sustain ongoing production levels. The operations team is continually seeking opportunities to improve and optimize the mine, plant and other critical systems to achieve and potentially exceed design capacities. “Reaching this important milestone of commercial production at Juanicipio completes our transformation from developer to producer,” said George Paspalas, President and CEO of MAG Silver. “Today marks the beginning of a very exciting and dynamic growth phase for MAG as we combine stable, high-margin silver production with the ongoing high-grade exploration potential that has made and continues to make MAG so unique.” About MAG Silver Corp. ( www.magsilver.com ) MAG Silver Corp. is a growth-oriented Canadian development and exploration company focused on becoming a top-tier primary silver mining company by exploring and advancing high-grade, district scale, precious metals projects in the Americas. Its principal focus and asset is the 4,000 tonnes per day Juanicipio Project (44%), operated by Fresnillo Plc (56%). The project is located in the Fresnillo Silver Trend in Mexico, the world's premier silver mining camp, where in addition to underground mine production and processing of mineralized material, an expanded exploration program is in place targeting multiple highly prospective targets. MAG is also executing multi-phase exploration programs at the Deer Trail 100% earn-in Project in Utah and the Larder Lake Project, located in the historically prolific Abitibi region of Canada. Neither the Toronto Stock Exchange nor the NYSE American has reviewed or accepted responsibility for the accuracy or adequacy of this press release, which has been prepared by management. This release includes certain statements that may be deemed to be “forward-looking statements” within the meaning of the US Private Securities Litigation Reform Act of 1995. All statements in this release, other than statements of historical facts are forward looking statements, including statements that address our expectations with respect to the timing and success of commissioning activities and the full-scale ramp up of milling activities, processing rates of development materials, future mineral production, and events or developments. Forward-looking statements are often, but not always, identified by the use of words such as "seek", "anticipate", "plan", "continue", "estimate", "expect", "may", "will", "project", "predict", "potential", "targeting", "intend", "could", "might", "should", "believe" and similar expressions. These statements involve known and unknown risks, uncertainties and other factors that may cause actual results or events to differ materially from those anticipated in such forward-looking statements. Although MAG believes the expectations expressed in such forward-looking statements are based on reasonable assumptions, such statements are not guarantees of future performance and actual results or developments may differ materially from those in the forward-looking statements. Factors that could cause actual results to differ materially from those in forward-looking statements include, but are not limited to, impacts (both direct and indirect) of COVID-19, timing of receipt of required permits, changes in applicable laws, changes in commodities prices, changes in mineral production performance, exploitation and exploration successes, continued availability of capital and financing, and general economic, market or business conditions, political risk, currency risk and capital cost inflation. In addition, forward-looking statements are subject to various risks, including that data is incomplete and considerable additional work will be required to complete further evaluation, including but not limited to drilling, engineering and socio-economic studies and investment. The reader is referred to the MAG Silver’s filings with the SEC and Canadian securities regulators for disclosure regarding these and other risk factors. There is no certainty that any forward-looking statement will come to pass, and investors should not place undue reliance upon forward-looking statements. Please Note: Investors are urged to consider closely the disclosures in MAG's annual and quarterly reports and other public filings, accessible through the Internet at www.sedar.com and www.sec.gov LEI: 254900LGL904N7F3EL14 For further information on behalf of MAG Silver Corp. Contact Michael J. Curlook, Vice President, Investor Relations and Communications Phone: (604) 630-1399 Toll Free: (866) 630-1399 Website: www.magsilver.com Email: [email protected]https://preview.redd.it/rfba2edv274b1.jpg?width=66&format=pjpg&auto=webp&s=296abee9eac532392ddc631ede50f6f4a7fdda26 https://preview.redd.it/7wawpepv274b1.png?width=4000&format=png&auto=webp&s=8d68e67b15c2849108ee44a9fbbf9bf8f3238606
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2023.06.05 14:40 Dayrel_S_Sewell Attorney-Client Privilege: Protections and Pitfalls
![]() | Inadvertent disclosure of privileged documents is an issue that periodically arises for lawyers and clients. Recently, Infowar host and founder, Alex Jones’ attorneys had to deal with an inadvertent disclosure to the opposing parties of cellphone records protected by attorney-client privilege during the Sandy Hook massacre defamation case proceeding against him. Understanding how to deal with inadvertent disclosure and what remedies are available is an important aspect of legal practice because attorneys can find themselves (or their clients) suffering from inadvertent disclosure of protected information or, conversely, being presented with inadvertently disclosed documents. submitted by Dayrel_S_Sewell to u/Dayrel_S_Sewell [link] [comments] https://preview.redd.it/wem93r5py64b1.png?width=643&format=png&auto=webp&s=6ac20f8a373a1f4de2d03cd3b85df275eba48a01 Privilege? What is that? Do I Have It? In order to understand the legal parameters of returning attorney-client privileged material, it needs to be understood by what is meant when referring to “attorney-client privilege”, “inadvertent disclosure of privileged material,” and “protective orders ordering the return of inadvertently disclosed information.” Remember, the client is the holder of the privilege. In order to understand the legal parameters of returning attorney-client privileged material, it needs to be understood by what is meant when referring to “attorney-client privilege”, “inadvertent disclosure of privileged material,” and “protective orders ordering the return of inadvertently disclosed information.” Remember, the client is the holder of the privilege. https://preview.redd.it/qms3ovtqy64b1.png?width=642&format=png&auto=webp&s=5ac80e2f7c7d8d45ec93898aa2df1923e058ab30 In today’s legal proceedings, New York courts almost exclusively rely upon the common law in their application of “attorney-client privilege.” This is evidenced in the case, People v Belge, where the Onondaga County Court ordered the defendant to produce corporate records as per a subpoena duces tecum, but the appellant refused and claimed that these records were protected by attorney-client privilege. The Onondaga County Supreme Court held the defendant in contempt and sentenced them to the Onondaga County Correctional Facility at Jamesville after the defendant rejected the Court’s order of providing the records in camera. Upon the defendant’s subsequent appeal, the Appellate Court stated that the appellant-defendant was not referring to Fifth Amendment privilege, but rather to the privilege of confidentiality in an attorney-client relationship. The Court ruled that for information to be protected under “attorney-client privilege”, there must be an attorney-client relationship, and “the information must have been given with the expectation of confidentiality and for the purpose of obtaining legal…advice.”The Court affirmed the Court’s ruling that the appellant was contemptuous, but vacated the sentencing and remanded the case back to the Onondaga County Court to allow the appellant to make a disclosure of the records under oath. Can I Lose My Privilege? What If I Send Accidentally Reveal Something? Next, having established what constitutes “attorney-client privilege”, we move to the inadvertent disclosure of privileged material and reclaiming that material via protective order. Previously, some courts held that inadvertent disclosure of privilege documentation served as an automatic waiver of said privilege because the client and attorney possess sufficient means to preserve the secrecy of communication and because disclosure makes the achievement of the benefits of the privilege impossible. Thankfully, this jurisprudence has been augmented to a more forgiving common law rule, which states that inadvertently disclosed material is still protected under attorney-client privilege, subject to the satisfaction of several factors. For privileged information to remain protected under “attorney-client privilege” when inadvertently disclosed, it needs to be shown that: (1) it was the client’s intention to retain the confidentiality of the privileged material; (2) the client took reasonable steps to prevent disclosure; (3) the client promptly objected to the disclosure; and, (4) the party claiming the waiver would not be prejudiced if a protective order is issued for said privileged materials. Furthermore, the burden of proving that the privilege applies is on the party asserting the privilege. Next, if during a proceeding, a court concludes that inadvertent disclosure was not a waiver of “attorney-client privilege”, then that finding serves as grounds for returning the privileged documentation back to the party moving for the protective order, but this demand of return has to be expressed in the motion for the protective order. Comment 4(2) of Rule 4.4 of the ABA Model Rules of Professional Conduct states the following regarding the return of inadvertent documentation: “Whether the lawyer is required to take additional steps, such as returning the document or electronically stored information, is a matter of law beyond the scope of these Rules, as is the question of whether the privileged status of a document or electronically stored information has been waived.” In Manufacturers and Traders Trust Co. v. Servotronics, Inc., the plaintiff, Manufacturers and Traders Trust Co., and Defendant, Servotronics Inc., executed two agreements, the Debt Modification Agreement, and the Sinking Fund Agreement. The defendant discovered that six documents were inadvertently disclosed to the plaintiff. The defendant moved for a protective order for the documents to be returned and for an injunction preventing the plaintiff from utilizing the six documents. Special Term denied the defendant’s motion. The Appellate Court unanimously reversed and granted the protective order, thus returning the six documents. The Court first ruled that the six documents were protected by “attorney-client privilege” because Defendant satisfied the rule constructed in People v. Belge. The Court then ruled that the inadvertent disclosure of the six documents did not serve as a waiver of “attorney-client privilege.”Utilizing the four factors mentioned above, the Court reasoned that it was not the defendant’s intention to disclose the documents, as evidenced by the vice-president of the defendant bank stating that they did not intend to disclose. To satisfy the second factor, the Court stated that the defendant took reasonable steps to prevent disclosure, as evidenced by the screening of all the material by the defendant’s lawyers prior to handing over the materials to the plaintiff. For the third factor, the Court stated it was sufficient that, after learning about the inadvertent disclosure, the defendant only took two days to initiate proceedings for a protective order. For the fourth and final factor, the Court concluded that a protective order would not prejudice the plaintiff because the defendant quickly began proceedings and didn’t exacerbate the error by testimony. Regarding the last factor, which addresses prejudice towards the party claiming waiver of privilege, the party claiming waiver of attorney-client privilege is prejudiced when it relies on the contents of the inadvertently disclosed information and the information is relevant to the case in question. Source:https://sewellnylaw.blogspot.com/2023/06/attorney-client-privilege-protections.html. |
2023.06.05 14:34 vacationsbyshelly The Ultimate Travel Agency for Unforgettable Caribbean Adventures- VACATIONS by Shelly
2023.06.05 14:12 HeyMeekers Do Mormons attract?
2023.06.05 14:12 MissSunshineLollipop Monstera help???
![]() | I got this monstera a month ago, repotted it a week ago. First picture is her right now - the next 3are when I first got her. She is inside . North facing window 🙄 but has a grow light! And it’s obviously next to another plant . But since I repotted her she’s very very droopy . The newest leaf is also droopy as her bottom leaves are developing brown spots. I rinsed off the roots completely because I found paper wrapped around her inner most roots (thanks Walmart) She’s in really well draining soil (Sandy mix , perlite, bark) What’s going on with her??? Please help… submitted by MissSunshineLollipop to houseplantscirclejerk [link] [comments] |
2023.06.05 14:07 theateam_pk 𝐆𝐮𝐚𝐫𝐚𝐧𝐭𝐞𝐞𝐝 𝐏𝐫𝐨𝐟𝐢𝐭 𝐮𝐩 𝐭𝐨 𝟐𝟎% "𝐌𝐚𝐫𝐢𝐧𝐚 𝐒𝐩𝐨𝐫𝐭𝐬 𝐂𝐢𝐭𝐲 𝐑𝐞𝐬𝐢𝐝𝐞𝐧𝐜𝐢𝐚"
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2023.06.05 14:03 Kinshae Ghostly gator
![]() | submitted by Kinshae to MonopolyGoCommunity [link] [comments] |
2023.06.05 14:03 Kinshae Ghostly gator
![]() | I have ripe choice and I really need ghostly gator! Let me know if that works for anyone. submitted by Kinshae to Monopoly_GO [link] [comments] |
2023.06.05 14:01 carloosharris Enjoy a Relaxing Day at Rockley Beach with Chair Rentals
2023.06.05 13:57 nochance316 [WTS][USA][TX] Dior B27 Brown High-Top Union x AJ2 Rattan Union x AJ2 Grey Fog Nike SB Dunk Low Sandy Bodecker/eBay
2023.06.05 13:05 Fugaazzi Cedar Clinical Research, by Numinus, the top enrolling clinical research site for MindMed's Phase 2B study evaluating MM-120
2023.06.05 12:59 AS_Colli Is this an oil port?
![]() | It’s a Savage Gear SGS6 reel, just doing a quick bit of cleaning on it after a sandy session and I noticed this hole. Have the reel about a year but didn’t see it before. My old reel didn’t have it. submitted by AS_Colli to FishingForBeginners [link] [comments] Thanks for any info! This place is always a great resource. |
2023.06.05 12:53 futuremilf9 Trade
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2023.06.05 12:31 hotasanicecube So is Walter a Dodgers fan?
2023.06.05 12:17 LittleRoseSFW2 24 [NB4A] California-Looking for more people to connect with
2023.06.05 12:13 Altruistic-Carpet-43 What jobs do you guys have that allow you to camp and travel and go on long trips?
2023.06.05 11:59 Embarrassed_Memory_5 .
![]() | I JUST NEED THE CLASSIC submitted by Embarrassed_Memory_5 to MonopolyGoTrading [link] [comments] |
2023.06.05 11:58 XNjunEar Bunny Pride Issue out now! Chew it proudly, poop it proudly, at your newsstand! Vegetable inks and safe paper, as usual.
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2023.06.05 11:52 WilliamMcCarty New L.A. County home listings under $1 mil, week of 6-5-2023