2. Based on the results of the study of legal regulation of accountable funds in AHO for members of the board (founders), the author of the article believes that it would be appropriate to supplement the concept of "accountable funds and accountable person" by adding "founder (member of the board)". For example, "the accountable person is malaysia telemarketing data an employee (staff), founder (member of the board), to whom cash is issued on account for expenses related to the implementation of the activities of a legal entity, individual entrepreneur."
"Accountable funds are an accountable amount issued to an employee (contributor), founder (member of the board) for expenses related to the implementation of the activities of a legal entity, individual entrepreneur." Issued on the basis of an application from the accountable person, signed by the order of the head of the organization indicating the amount of funds, the period for which it is issued. A mandatory advance report with attached supporting documents is provided, subject to submission and verification in the accounting department.
Thus, the identified gaps in domestic legislation on issues of legal regulation of an autonomous non-profit organization on accountable funds for board members (founders) must be eliminated by the Russian legislator.
This article has no goal. From the title, one can guess that the author was looking for a gap in the legal regulation of accountable funds for board members (founders) in an autonomous non-profit organization. Obviously, he found it, which proves that the goal was achieved. Suggestions for eliminating this gap have theoretical and practical significance.
Recommendation to the author : indicate the direction for further research of this issue.
3. Based on the above, I propose to supplement Part 1 of Article 29.5 of the Code of
that are no longer in the nomenclature,
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