Saturday, December 14, 2019
The San of the Kalahari Desert Free Essays
The San of the Kalahari Desert The San also known as ââ¬Å"Bushmenâ⬠are one of the well-known foraging and hunting communities. They have made the Kalahari Desert located in Southwest Africa their home for many years. These communities are called bands that consist of multifamily groups with a size ranging from 25 to 50 people. We will write a custom essay sample on The San of the Kalahari Desert or any similar topic only for you Order Now ââ¬Å"Family, marriage, and kinship, gender, and age are the key principles of social organizations in foraging societiesâ⬠(Nowak Laird, 2010. Section 3. 7). In this paper you will have a brief understanding of the kinship system of the San Tribe, as well as how their environment influences their behavior and interactions. The nuclear family would consist of a mother, father and their children. This family is considered the most common in the foraging societies because they are able to adapt to various conditions. Bands are made up of several multifamily groupings such as nuclear families. It is very important how these families are related because it will determine how they will act towards each other. The bands will sometime include extended family members which will be beneficial in circumstances such as cooperation and sharing amongst the community. Both men and women work together to provide for the community as a whole. Women are responsible for 80% of the san diet (Nowak Laird, 2010). Women are the primary gathers; their diet is consisting mostly of nuts and fruit. The men are responsible for 20% of the diet. They provide meat from their hunts. The women are able to gather enough food that will last a full week in two to three days. They can enjoy each otherââ¬â¢s company the rest of the time. The men and women work together by mentioning areas of vegetation or animals they may come across on their gathering and hunting trips. The good and services produced by the men and women are shared amongst the community. They rely on each other for the gathering and hunting of food. Everyoneââ¬â¢s participation is very important. There is an unspoken promise on the exchange of the goods and services. This is called reciprocity, ââ¬Å"a mutual, agreed-upon exchange of goods and services. Reciprocity works well n a society in which food items need to be consumed quickly due to spoilageâ⬠(Nowak Laird, 2010. Section 3. 3). Foragers have to stay mobile, so there is no room for stock piles of food or goods. Everything has to be used immediately; there is no need for storage because they can always get what they need from the environment. This type of reciprocity would be generalized, there are no expectations for nothing in return, in due time everything will work it- self out. The men are not always successful in their hunts but when they are the meat is prepared and distributed throughout the community. This will also be the same for the food that comes from the gatherings that the women go on as well. This insures that everyone is fed and that both men and women do not have to look for food every day. Everyone takes their turns in providing for the entire band. These interactions promote close bonds and social ties. They are not only sharing with just their neighbors but these are also their kin, no one is an unfamiliar person in these communities. In the San Tribe no one is of more value to another. Since everyone shares everything it leaves little room for jealousy. As in our society, we do not forage, we can pretty much walk in any store and purchased pre-prepared food and goods. There is little thought put into where our food will come from or where we live. The most important thing for us would be making sure we have the funds to be able to do the things that we would like to and purchase the things that we absolutely need. We focus on the needs of our immediate family such as our partners, children and parents vs. considering our communities. I feel that in our society most people are for self only. No one is really willing to help each other no more. I believe that if we had kinship systems in placed things would be a lot better. We could all come together and be there for each other. Making sure everyone has something and no one is left without. There are services shared among my neighbors such as lawn services, babysitting and clothing. We do these things for each other never expecting anything in return. References Nowak, B. Laird, P. (2010) Cultural Anthropology. Retrieved from https://content. ashford. edu/books/AUANT101. 10. 2/sections/sec3. 7 (EBOOK) https://content. ashford. edu/books/AUANT101. 10. 2/sections/sec3. 3 (EBOOK) How to cite The San of the Kalahari Desert, Papers
Thursday, December 5, 2019
Taxation Law Legislation and Commentary
Question: Discuss about the Taxation Law for Legislation and Commentary. Answer: Introduction The current report is being drafted on the Taxation laws of Australia. Light is drawn on essentials that are required to be entered or omitted while calculating the income of a taxpayer. Income tax is charged on the income earned by the assessee further broadly classified into two categories, ordinary income and statutory income. The current case indicates provisions in relation to income received in advance and the stock traded in context to the funeral business. Significant case laws are cited to prove the correlation between the applicable sections and law, which is apt to the current case. Application of relevant facts suitable case wherever found necessary to prove the point of the answer. Legal Law: As per the section 6.5 of Income Tax Assessment Act 1997, an ordinary income is a part of assessable income, which is derived throughout the income year. In the case of Brent V FC of T71ATC, it was articulated that wherein any specified provision is not mentioned regarding the determination of derived income, applying of commercial and ordinary principals will derive the income assessed (Linney, 2012). The income, which is derived by RIP LTD from RIP Finance, shall be the income derived in general. The income that is been derived from its funeral plan will be taken as an activity. Such activities are referred as funeral and associated activities. Facts: RIP Pty. Ltd is a resident private company, which carries on its business of undertaker/funeral director. Fess is generated by the company from RIP finance Pty Ltd who under the instalment repayment plan provides its customer credit facilities. Deluxe funeral arrangements are guaranteed to the client wherein the agreed amount is paid. If the determined charge of the contract is not paid in complete then in such a case it is billed as fees payable under an invoice of 30 days or fees received from RIP finance Pty Ltd. under the instalment repayment plan. Pertinent Law: In the case of Arthur Murray (NSW) Pty Ltd. V FCT (1965) CLR 314 (High Court), the dance classes were taken by the taxpayer and prepaid basis was chosen as a means of recovering fees. In the event of future services, no refund was offered to its customers (Rowland, 2014). The income earned from classes for future prospects was accounted by the taxpayer as unearned deposit account. In this case, the court provided its verdict elucidating that the amount received by the taxpayer for services that are to be offered in future years will be a part of the assessable income for the year in which it is received and not for the year in which it is actually earned. In the current situation, Arthur Murray case shall be applicable to the company. As the company is receiving fees on the prepaid basis for which the taxpayer makes no refund if the client is unable to avail the services in future. A similar notion is applicable for those customers who cease to make payments and are unable to repay their arrears. The respective two methods are clearly elucidated under Rule 8 and Rule 9 of the Taxation Rulings (TR 98/1): Cash Basis: It is also known as receipt basis. Under this method, taxpayer derives income when he receives cash or cash equivalent amount. Any company who has a turnover of less than $2 million can avail this method. This method covers the period during which actual sales and purchases are being made (Martorano, 2014). The merit of employing this method is that it can better align the flow of money with the business activity and its statement liabilities. Thus overall making it easier for managing the cash flows. The cash method is applicable in following instances: Any small business which might be an individual, company, partnership firm or a trust whose aggregate turnover is not more than $2 million (Charlesworthand Marshall, 2011). Wherein the income tax is calculated on the basis of cash method. A type of enterprise who is directed by any respective law to pay taxes on the basis of cash method. Accrual Method: Herein, income is considered received when it has actually been earned. Income will be realised only when the services or goods are actually been delivered or debts are incurred against the income and not just merely because of receipt of income as done in cash basis (Srensen and Johnson, 2010). Instance; Cash Basis: Mr N is employed who receives a salary for two months in advance for the next year. Herein, the salary of two months shall be deemed to be received even if the services pertaining to such salary is not rendered. Accrual basis: Mr P has a business of selling telephone. In the current year, a scheme is offered to customers to make payment in advance for the next year and avail the benefit of rebate of 20%. On the basis of accrual method, though the fees are received for next year, the fees in relation to current year will only be accounted for assessment of income of the taxpayer. Pertinent Law: As per theSection 104-150 of Income Tax Assessment Act 1997, forfeiture of deposit CGT event H1. This is applicable in a case wherein an individual or entity or organisation has received any deposit from you and they forfeit the same for the reason that prospective sale or any other transactions have not proceeded (Taylor and Richardson, 2013). For instance; Mr X has decided to sell off its land. Before commencing upon the contract of sale, the prospective buyer pays Mr X $1000 which is a holding deposit for 2 months. In any circumstance, the negotiating contract ceases to occur and in such case, the deposit is forfeited by Mr X. According to 1A the following components need to be reduced from the amount, which is being deposited: Amount repaid by Mr X, or Compensation paid by Mr X that can be considered as a repayment of complete or part of the deposit. Also, 1A specifies that the proceeds which are being forfeited may be in form of property (Tse, and Krol, 2015). As per 1B, deposit cant be reduced by any part of payment that can be deducted. As per subsection 2, the time of the event is when the deposit is forfeited. As per subsection 3, a capital gain can be made if a deposit is more than the expenditures incurred in context to the prospective sale or any other transactions. Subsequently, the capital loss is said to be made wherein the deposit is less. As per subsection 4, the expenditure may include giving property, but it does not include any amount, which is received as recoupment and is not a part of your assessable income as well (Whiteford, 2010). Facts: The amount received by RIP Pty Ltd from its client under the funeral plan for any future costs in relation to the funeral. In case if the complete agreement is not met then the amount deposited shall be forfeited. $225000 is the amount that remains of Easy Plan funeral. As per the Section 104-150, the company has the right to forfeit the amount that has been deposited on account of incompletion of the obligation and $225000 should be written down as capital gained in the books of RIP Pty Ltd. Treatment of trading stock Applicable Law Trading stock is defined by 1997 The Income Tax Assessment Acts Section 70-10. As per the section trading stock involves all that is made, produced or bought which is used for the purpose of manufacturing, sale or exchanging in the ordinary course of business (Jacob and Jacob, 2013). Cases involving livestock and shares need to be considered for special issues. Livestock is considered to be a part of stock only if they are burdened animal only for the purpose of primary production in the business. In the case of shares, it is a part of trading stock only if there are a frequent number of transactions and considerable resources are developed from such activity. Generalised Taxation Treatment: Deduction referring to the cost of purchase is permitted. If closing stock's amount becomes more than closing stock's amount then the difference is valuable (Pintoand et.al., 2011). If opening stocks amount is more than the amount of closing, the resulting difference is deductible. Facts: There are three types of caskets, which include a range of accessories considered as religious and secular possessed by RIP Pty Ltd as closing stock. The company has also procured a significant amount of discount on its advance purchases. As the company has acquired the caskets and accessories for its fulfilment of obligation and not for the purpose of selling or exchanging it in the ordinary course of business thus this will not be a part of the stock. The case law of Ballarat Brewing Co, Ltd V FCT is applicable to the current situation as for the facts; it correctly reflects the expenditure made in reference to the acquisition of caskets and accessories. According to this case, the amount calculated in the books of accounts shall be the amount after discount availed. The net amount shall be the correctly reflected (Rowland, 2012). $25000 will be shown under head assets, but only if the casket and accessories come under the head of assets. Thus, equivalent to the amount under the head of capital assets, debtors account will be created. If this is considered as expenditure, then it will be accounted as prepaid expenses. Treatment of dividend income earned during the year As defined under section 44 of Income Tax Assessment Act, Assessment of dividends is made when it is paid and as per the section 6 (1) the word paid includes sum i.e., distributed or credited by the company. Further, the section 44 (1)(a) must be read in reference to dividend payment (Crawford and Sawang, 2011). The company cannot revoke dividend once declared. Thus, dividend forms a part of assessable income when it is received and cant be revoked by the company. Hence, in the current situation RIP Finance Pty Ltd declared a cash dividend of $21000, which will be part of the assessed income of the company. Treatment regarding rental of storage space to be paid during the year: Applicable law: In context to the provisions specified in Australian taxation laws, an individual or any business is eligible to claim any rental expenses, which are of revenue nature. Though, in context to the capital expenses, it has been clearly mentioned one is entitled to claim deduction wherein there is any declining value of capital work. Facts: On 1st March 2016, an amount of $57000 was paid as 2 years rent for storage space. The lease is about to get expired by 28th February 2018. In this situation $9500 amount was taken as a part of the expense and remaining $47500 is to be capitalised in financial accounts. As per the provisions specified under the Act, $9500 will be permitted to get deducted in the same year. Though, certainly, one cannot claim the deduction of $47500 immediately and avail it in proportionate of two years as per the declining value of capital expenditure. Treatment of the amount being debited from Long Service Leave Account Income Tax Assessment Acts Section 83-70 herein deals with the accounting of Long Service Leave provisions. The subset of this section is applicable to the leave off following categories but other than the annual leave which is to comply with the provisions of section 83-10 (Other capital expenses. (2016)). As per this section: Long leaves, extended leaves and furlough are a part of the long service leave. Any other service which has the same implication as of above mentioned in part (a) is ordinarily available. If the employer has been availing any scheme of arrangement for leave, the employer is not bound to comply with the Law of Common Wealth and State of Territory Laws, related to the leave as aforementioned in section 83-70. Section 83-8 is considered for dealing with taxations belonging to vacant long service leave payment (Pintoand et.al., 2011). As per this section, payment is recognised to post 14th August 1993 period will be 100% part of assessable income of employee. The MD of RIP Pty Ltd was given an advance pertaining to Long Service Leave of $22000 for 3 months. This amount is considered for the provisions of service leave account. In reference to Section 83-7 and 83-8, it can be observed that the amount given to an employee is related to the long service leave and the total amount. As part of the assessable income of the employee, the total amount of $22000 will be a part of it. Thus, the treatment done herein is correct. Applicable Law: The deduction that is applicable in relation to customer costs for a building it can be claimed under the head of capital work. It includes the following: Building or the preliminary extensions, enhancements to a building. Enhancement made in the structure of building such as maintaining the wall and fences (Pintoand et.al., 2011). The improvement made to safeguard the environment. Thus, all this assessment can help in claiming for the capital expenditure made by them regarding the extension of the building. Furthermore, distinctive rates of deduction shall be applicable from the time when the work has started. Division 43 of ITAA 1997 shall cover the provisions of this law. Facts: According to the decision made by the companys Board of directors to resort to and construct a purposeful built in facilities. In the year 2013, $250000 was paid over as a preliminary expense for architectural designing. The land was subsequently acquired in the year 2014 that costs around $1.25 million along with $50000 was given as expense incurred for demolishment. Construction for new house commenced from 1st September 2014 incurring a sum of $2.5 million. Operations began on 1st August 2015 and an onsite parking cost was calculated as $125000 which was completely built by 30th September 2015 and the over landscape site resulted in a sum of $40000 which was completed on 31s of January 2016. As per the given situation, the business is eligible to claim for 4% as allowances for construction work as in reference to the Division 43 of ITAA 1997. However, in order to avail this allowance the building is required to be qualified as per the provisions of Section 43.150 of ITAA 1997. Conclusion The organisation herein has been applying all the relevant norms of the ITAA 1997. Any non-compliance of the statutory laws will result in varied penalties and punishments for the company and its representatives (Rowland, 2012). It can be very well articulated from the current report that standard norms of the Taxation laws of Australia are followed requisitely by the organisation. The prevalent sections and provisions are elaborated for a detailed explanation of the sections. Suitable Case laws have been cited to present the facts and judgement of law, which has helped, in ascertaining the treatment made by the organisation. References Charlesworth, S. and Marshall, H. (2011). Sacrificing workers? The curious case of salary sacrificing in non-profit community services in Australia.International Journal of Public Sector Management.24(7).pp.673-683. Crawford, J. Sawang, D. (2011). RD in Australia: The new RD tax incentive.Taxation in Australia,46(4), p.145. Jacob, M. Jacob, M. (2013).Taxation, dividends, and share repurchases: Taking evidence globally. Journal of Financial and Quantitative Analysis. 48(04), Pp.1241-1269. Linney, S. (2012). Changing the face of regulatory projects in Australia. Taxation in Australia,46(10), p.468. Martorano, B. (2014).The Impact of Uruguay's 2007 Tax Reform on Equity and Efficiency. Development Policy Review, 32(6).Pp.701-714. Rowland, N. (2012). Keeping you up to date with the latest in tax.Taxation in Australia,47(2), p.62. Rowland, N. (2014). Furthering excellence in the tax profession.Taxation in Australia,49(3), p.119. Srensen, P.B. Johnson, S.M. (2010). Taxing capital income: options for reform in Australia. InMelbourne Institute, Australias Future Tax and Transfer Policy Conference(pp. 179-235). Taylor, G. Richardson, G. (2013). The determinants of thinly capitalised tax avoidance structures: Evidence from Australian firms. Journal of International Accounting, Auditing and Taxation, 22(1).Pp.12-25. Tse, J. Krol, C. (2015). Tax transparency in Australia: Cutting through the BEPS noise.Taxation in Australia,50(2), p.80. Whiteford, P. (2010). The Australian Taxà ¢Ã¢â ¬Ã Transfer System: Architecture and Outcomes.Economic Record,86(275), pp.528-544. Pinto, D.and et.al. (2011). Australian Taxation Law Select: legislation and commentary. CCH Australia. Other capital expenses. (2016). [Online]. Available throughhttps://www.ato.gov.au/business/income-and-deductions-for-business/depreciating-assets/other-capital-expenses/.[Accessed on 6th September 2016].
Thursday, November 28, 2019
Injection Molding Essays (944 words) - Injection Molding
Injection Molding Injection Molding Injection molding is a process used to form products from plastic. The process requires a mold, clamping component, injection unit, and some sort of plastic. As time has advanced so has injection molding by developing new techniques and new products to aid in the manufacturing of the injection molded parts. Injection molding was used as early as the 1860's. It can be used to form many different products. Whether the products are small, large, complex, or simple they can be produced. Injection molding has derived from metal die casting. However, the polymer can't just be poured into a mold, it has to be forced into the mold cavity. The polymer is forced into the mold and pressure is held on it to avoid shrinkage in the mold cavity as it cools. Injection molding is capable of producing a large number of parts with very high precision. All thermoplastics except polytetraflouroethylene (PTFE), polyamides, and some aromatic polyesters can be used by the injection molding machine. Some thermosetting plastics can also be used. The typical fabrication process can be done by one of two different types of injection molding equipment. Either a plunger, or reciprocating screw type machine can be used. The process starts by melting the polymer resin. Once the resin is melted, a mold is placed in the clamping unit. The clamping unit is to hold the mold together. The plunger or reciprocating screw then force the polymer resin into the mold. In the plunger operated machine, the plunger is hydraulically operated. This forces the plastic through a heated area, where it is then spread into a thin layer by the torpedo. Then the melt comes to the nozzle and is injected into the mold. The reciprocating screw rotates, this moves the polymer resin forward for injection. As the screw rotates it acts to melt, mix, and pump the polymer to prepare it for injection. The reciprocating screw machine is the most widely used of the two machines. Once the polymer resin is injected into the mold cavity, the mold is allowed to cool. The mold has a gate, which limits back flow and directs the flow of the melt into the mold cavity. Once the mold has cooled and the polymer has solidified the mold can be removed and the part can be ejected. When the gate freezes, the screw begins to rotate again and the part is ejected. This completes the cycle time. Cycle times range due to the amount of time the polymer needs to cure or solidify. This is called the hold time. Some advantages of injection molding are high production rates, design flexibility, low tolerances, can process wide range of materials, low labor, little or no finishing, and scrap is held to a minimum. However, some disadvantages are high startup and running costs, part must be designed for effective molding, accurate cost prediction is difficult, and machine cost is very high. The high tooling costs come from the molds being built to a high level of precision. The molds are usually constructed of hardened tool steel, and aluminum or other soft metals when tooling life is not an issue. Tooling costs can range from $5,000 to $100,000. However, there are some parts that can not be formed by any other method of processing except injection molding. These parts typically become feasible around 1,000 pieces. To go with the high tooling costs there are a large number of variables that go along with it. Injection molding machines may require special plant services that other equipment does not. As technology advances so must the industry to keep up production. One way injection molding is keeping up is by becoming automated. Usually, operators are placing parts into molds, and then taking the parts out. Now, robotic devices are being used to place inserts before molding and remove parts after molding as well as a host of other operations as well. Not only does the robotics speed up the process, but makes it much more cost effective. Another way industry is trying to keep up with technology is by using computer software. The software is called ?Mold Adviser,? which is a mold design and analysis package that can be used to help speed up operations while reducing tooling costs. Using the past standard operation of designing molds a company could easily waste six to twelve weeks and anywhere from $30,000 to $40,000 on fixing a mold that has a problem with filling correctly. The new software
Monday, November 25, 2019
The Greatest Grieves are Those We Cause Ourselves
The Greatest Grieves are Those We Cause Ourselves The Greatest Grieves are Those We Cause Ourselves This is a philosophical quote which means that people always become victims of their own deeds Any evil action performed brings agonies to the person who does it. In other words, the decision made by individuals end up causing serious adverse effects on them. Whenever someone plans to harm another person, he has to know that it is himself who will face the intended havoc. The statement can be explained using William Shakespeares play Macbeth. In this play Macbeth, a military leader who maneuvers to be a monarch becomes a casualty of his own actions. He does very evil things in order to rise to power. First, he kills the king to take his place. This is a very unfortunate incident because, as a patriot, he should have been loyal and protective of his king. After all, he was a distinguished army leader who had sworn to be loyal to his kingdom. After rising to power, he becomes very brutal He proves his autocratic leadership by indiscriminately murdering his subjects who were perceived to be dissents. He uses his military authority to establish a totalitarian regime in his kingdom. However, as events unfold, he gets seriously affected by his actions. He loses the confidence of his subjects who repeatedly rebel against him. In the long run, the kingdom plunges into war. This demoralizes him to the extent that he loses interest in his life and eventually loses it. Conclusively, it is good for people to be careful with their decisions Planning evil deeds eventually turns to haunt the perpetrator himself just like it happened to Macbeth. His ordeal gives meaning to this statement and acts as a lesson to others who might be planning to behave in the same perverse manner. Morality be the pillar of harmony and success to all the people in the society.
Thursday, November 21, 2019
Pathophysiology- gasrtic acid stimulation on PUD,GERD,GASTRITIS Essay
Pathophysiology- gasrtic acid stimulation on PUD,GERD,GASTRITIS - Essay Example There are four main phases in the process of gastric acid production and these include basal phase which is constant acid release into the stomach. The cephalic phase involves the preparation for eating and acid secretion is triggered by impulses from higher CNS structures through CN X. Acid secretion in the gastric phase is due to distention of the abdomen and the intestinal phase is stimulated by amino acids and intestinal distension (Malfertheiner, 2009). There are several disorders that can occur as a result of hypersacidity which include peptic ulcer disease, gastroesophageal reflux and gastritis. The acid accumulation in these cases is due to a series of aggressive factors such as alcohol, h. pylori and NSAIDs. For example in patients with hyperacid dyspepsia due to Helicobacter pylori there is an increase in gastrin production which stimulates the the parietal cells to produce HCl. Dietary factors and consumption of alcohol leads to stimulation of gastric mucosa leading to hypersecretion of acid from the parietal cells (Patel & Gyawali, 2012). Genetics have a role to play in the development of PUD, gastritis and GERD due to several reasons. Firstly, hyperacid dyspepsia can be a genetic condition whereby an individual naturally produces an elevated amount of acid therefore making him or her predisposed to developing the above mentioned conditions. Other genetic conditions such as hyperpepsinogemenia play a role in the development of peptic ulcer disease. Genetic defects of lower esophageal sphincter function also predispose an individual to GERD. Autoimmune disorders, cancers and allergic reactions increase an individualââ¬â¢s chances of developing peptic ulcers or gastritis (Patel & Gyawali,
Wednesday, November 20, 2019
Latin America Essay Example | Topics and Well Written Essays - 500 words
Latin America - Essay Example The human population has changed and continues to change the landscape from natural to the cultural landscape in various ways. One of the significant ways that have seen a transformation of the landscape is through increasing agricultural activities. This has been intense especially with the rising human population. Humans have cut, cleared, and burned forest for agricultural activities (Erickson, n.d.). An example of human built landscape is the area next to Lake Titicaca (Erickson, n.d.). In this area, there have been heightened agricultural activities. In the last eight century, the environment in the basin has been changed into an artificial landscape (Erickson, n.d.). This has been mainly due to raised fields, terracing, and irrigation activities that are related to agriculture. The other factor that leads to change of landscape is clearing of forest. The region has witnessed a massive loss of forest cover for a long period. In fact, the region is noted to have the worldââ¬â¢s highest loss of forest cover in the recent past (Pacheco et al., 2011). However, extensive forest transformation has been witnessed in the Amazon basin (Pacheco et al., 2011). As the authors note, huge population in the region relies on forest resources to support their livelihoods (Pacheco et al., 2011). The population also comprises of ranchers and farmers that continue to clear forest to create space for their activities. As a result, most of the land that was previously occupied by trees is left bare. The changing geography in the region has a profound impact on regional political future and institutions. One of the issues related to change is the rise in conflict between people, countries, and region in the area. For example, there has been increasing conflict over the use of resources such as those that come from the forest. On the other hand, failure to guard
Monday, November 18, 2019
The Adobe Dreamweaver Software Essay Example | Topics and Well Written Essays - 1000 words
The Adobe Dreamweaver Software - Essay Example We were six team members. Although I actively participated in each and every stage of the project from the planning till delivery, yet my main contribution in the project was the design of the website. It was a very big responsibility as the design of website would be what will be seen by the client, which in our case was Prive and the customers that would be using the website once it is launched. The design of the website of a company has a fundamental role to play in the customerââ¬â¢s perceptions about the company. Customers tend to draw inferences about the company from the first impression that is lent by the website. It was my responsibility to make the design look both perfect and professional. It was a fairly tough task in that the design is constantly revised and modified until the product is delivered to the client. So my job would not finish with the completion of design as it had to be constantly revised and modified according to the ideas we explored along the way. I had to design wireframe sketches for the website. To achieve this, I conducted a thorough review of the existing models and tried different combinations to reach a fairly decent and professional design. Bob used my designs to construct the website using the software ââ¬Å"Adobe Dreamweaverâ⬠, while Jack worked upon the launching of the website and its presentation to Prive. Dan conducted the feasibility study of this project for Prive. Martha and Susan selected useful models from an extensive literature review. At the start of the project, I felt very nervous as I had never done a project as complex as this ever before. During our passage through the project, there were times when we were stuck, there were times when we had disputes and times when we celebrated. After I was done, all of us were filled with the feeling of joy mixed with relief. One of the most difficult parts of the project for me was to gain the consent of all team members upon the design of wireframe sketches I had proposed.
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