3,357 research outputs found
The Gerasimov-Drell-Hearn Sum Rule and Current Algebras
The status of the Gerasimov-Drell-Hearn sum rules for polarized inclusive
photo-production on nucleons is reviewed. It is shown that results from
currently available data compare favorably with an estimate based on an
extended current algebra. Implications for integrals of spin-dependent
structure functions are also briefly discussed.Comment: 8 Page
Continuum discretized BCS approach for weakly bound nuclei
The Bardeen-Cooper-Schrieffer (BCS) formalism is extended by including the
single-particle continuum in order to analyse the evolution of pairing in an
isotopic chain from stability up to the drip line. We propose a continuum
discretized generalized BCS based on single-particle pseudostates (PS). These
PS are generated from the diagonalization of the single-particle Hamiltonian
within a Transformed Harmonic Oscillator (THO) basis. The consistency of the
results versus the size of the basis is studied. The method is applied to
neutron rich Oxygen and Carbon isotopes and compared with similar previous
works and available experimental data. We make use of the flexibility of the
proposed model in order to study the evolution of the occupation of the
low-energy continuum when the system becomes weakly bound. We find a larger
influence of the non-resonant continuum as long as the Fermi level approaches
zero.Comment: 20 pages, 16 figures, to be submitte
An additional study and implementation of tone calibrated technique of modulation
The Tone Calibrated Technique (TCT) was shown to be theoretically free from an error floor, and is only limited, in practice, by implementation constraints. The concept of the TCT transmission scheme along with a baseband implementation of a suitable demodulator is introduced. Two techniques for the generation of the TCT signal are considered: a Manchester source encoding scheme (MTCT) and a subcarrier based technique (STCT). The results are summarized for the TCT link computer simulation. The hardware implementation of the MTCT system is addressed and the digital signal processing design considerations involved in satisfying the modulator/demodulator requirements are outlined. The program findings are discussed and future direction are suggested based on conclusions made regarding the suitability of the TCT system for the transmission channel presently under consideration
Estate Taxation of Reciprocal Trusts
As is to be expected, many individuals desire to avoid the inclusion of all their property in their gross estates for Federal estate tax purposes. Counterbalancing this desire is the wish to continue to enjoy all or some of the benefits therefrom during their lifetimes. This has often led to a transfer in trust with the grantor retaining some rights in the property but divesting himself of enough interest so as to create a reasonable expectation of having the value of the property excluded from his gross estate. These often elaborate schemes have proved both successful and unsuccessful depending upon the particular factual situations involved. The purpose of this article is to explore one such type of transfer in view of the Supreme Court\u27s recent decision in United States v. Grace. In order to do so, some preliminary consideration should be given to sections 2036 and 2038 of the Internal Revenue Code in conjunction with previous decisions
Estate Taxation of Reciprocal Trusts
As is to be expected, many individuals desire to avoid the inclusion of all their property in their gross estates for Federal estate tax purposes. Counterbalancing this desire is the wish to continue to enjoy all or some of the benefits therefrom during their lifetimes. This has often led to a transfer in trust with the grantor retaining some rights in the property but divesting himself of enough interest so as to create a reasonable expectation of having the value of the property excluded from his gross estate. These often elaborate schemes have proved both successful and unsuccessful depending upon the particular factual situations involved. The purpose of this article is to explore one such type of transfer in view of the Supreme Court\u27s recent decision in United States v. Grace. In order to do so, some preliminary consideration should be given to sections 2036 and 2038 of the Internal Revenue Code in conjunction with previous decisions
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