The uses of every possession are two, both dependent upon the thing itself, but not in the same manner, the one supposing an inseparable connection with it, the other not; as a shoe, for instance, which may be either worn, or
exchanged for something else, both these are the uses of the shoe; for he who exchanges a shoe with some man who wants one, for money or provisions, uses the shoe as a shoe, but not according to the original intention, for shoes were not at first made to be
exchanged.
Had the men been strangers, and therefore unable to exchange names, they would have silently exchanged ornaments, had their missions been peaceful--otherwise they would have exchanged shots, or have fought out their introduction with some other of their various weapons.
Tars Tarkas and the chief exchanged a few words, and the former, calling to a young female among the throng, gave her some instructions and motioned me to accompany her.
At a certain stage in the development of these means of production and of exchange, the conditions under which feudal society produced and
exchanged, the feudal organisation of agriculture and manufacturing industry, in one word, the feudal relations of property became no longer compatible with the already developed productive forces; they became so many fetters.
The countess
exchanged glances with Anna Mikhaylovna.
In either case it would be enough if we
exchanged addresses, at which we could write to each other in case of need.
Simpson was absent from the home circle for the moment because he had
exchanged the Widow Rideout's sleigh for Joseph Goodwin's plough.
"Mother," said Rogojin, kissing her hand, "here is my great friend, Prince Muishkin; we have
exchanged crosses; he was like a real brother to me at Moscow at one time, and did a great deal for me.
1031 exchange, otherwise known as a 1031 exchange or like-kind exchange, occurs if, within 180 days, an asset being relinquished is replaced (i.e.,
exchanged) with an asset of like kind.
18, 2006, addressed the income tax treatment of property
exchanged for an annuity contract.
Presuming all of the above are properly accomplished, the investors' interests will have been converted from those of partners to those of tenants in common with each investor owning a direct interest in real property which has the potential to be
exchanged for another real property interest under [section]1031.
Since the
exchanged properties were not automatically like-kind, the Tax Court had to reconcile two prior cases.