Daily Archives: September 22, 2016

Best Brands of Garcinia Cambogia – Food Security

Posted: September 22, 2016 at 7:51 pm

Yes, Garcinia Cambogia works not just for helping you burn more fat it also helps keep hunger at bay so you dont overeat. HCA (HydroChloric Acid) is the active ingredient in Garcinia Cambogia.The researchclearly shows higher dosages of HCA result in more weight loss. The problem is, once Dr Oz proclaimed it the []

Click below to jump to the following sections: Farm to College Projects Is There a Need? How do Farm to College Projects Work? What Assistance does the Farm to College Program Offer? For extensive information on farm to college projects around the country and other valuable reviews and information on garcinia cambogia Farm to []

Potatoes are one of the worlds most popular food crops. They are commonly eaten as a snack or fast food, such as potato chips or French fries, which are undoubtedly unhealthy in large amounts. But are boiled or baked potatoes also unhealthy? Recently, a team of Danish researchers conducted a meta-analysis of studies examining the []

There are many health claim benefits that the coconut water producing companies are touting. Among the claims are: it will boost circulation, lower blood pressure, boost the immune system, raise the metabolism, treat kidney stones, reduce the risk of cancer and stroke, has anti-viral, anti-fungal and anti-microbial properties, helps to carry nutrients and oxygen to []

Many people believe that excessive sugar intake is one of the main reasons for the obesity epidemic. This is not because sugar is high in calories. Instead, evidence suggests that sugar may increase cravings and promote higher overall calorie intake. Recently, a team of researchers examined the effects of sugar glucose and fructose []

Have you ever wondered if applesauce is as good for you as apples since, well, it seems to be pretty much just made up of apples right? Sure, the primary ingredient is you guessed it apples, but that doesnt mean that theyre equal in regards to nutrition. They look completely different and that difference leads []

Though youve probably heard of cumin, I bet you didnt know that it can help you with losing weight. Add Cumin to your diet and youll get an increase in your metabolism, kick your immune system into better gear, naturally detox your body on a regular basis and burn fat way faster. Known as Jeera []

The Study that started it all Maybe youve heard about naturopathic doctor Lindsey Duncan. If so, you know that he does not often recommend weight loss supplements. Instead, he recommends proven and healthy ways to lose weight. But participants in the original study by Dr Duncan that Doctor Oz featured on his show back in []

Featured on Dr Oz show On his TV show Dr Oz featured African Mango on his popular. He called it a breakthrough supplement and a miracle in your medicine cabinet, the #1 miracle in a bottle to burn your fat. Melts stubborn body fat Miracle in your medicine cabinet Decrease weight and waist circumference Proven []

The Menstralean diet is a cutting edge weight loss strategy for women. Basically, its synchronized with the phases of the menstrual cycle, and scientists believe that it may be easier to adhere to than the traditional approach. Recently, a team of researchers conducted a randomized controlled trial comparing the Menstralean diet with a conventional weight []

Obesity is a serious health concern. In both children and adults, it may increase the risk of several chronic diseases, such as type 2 diabetes and heart disease. For successful weight loss, multiple strategies are usually required. One effective approach may be to eat more protein (1). For this reason, researchers set out to see []

Type 2 diabetes causes millions of deaths every year. Elevated blood sugar levels damage the bodys tissues and organs leading to a variety of health problems, poor quality of life, and shortened lifespan. The most commonly used prescription drug is metformin(Glucophage) Berberine has been shown in these studies to be just as effective in lowering []

The USAID Global Health eLearning Center offers a menu of courses that learners from many disciplines and positions can use to expand their knowledge in key public health areas and access important up-to-date technical information. The eLearning Center is available at no cost to learners and can be accessed 24 hours a day from any []

Ahmed F. 1999. Vitamin A deficiency in Bangladesh: a review and recommendations for improvement. Public Health Nutrition. 2(1):1-14, Mar. Akbari, H, J Huang, P Martien, L Rainer, A Rosenfeld, H Taha. 1988. The impact of summer heat islands on cooling energy consumption and CO2 emissions. in Proceedings of the 1988 Summer Study in Energy Efficiency []

There have been 5 Community Food Project grants that have gone to organizations in Kansas. Two of these are profiled below. Kansas Rural Center, Whiting Grant awarded: $120,000 in 2005 for 3-year project With a CFP grant, the Kansas Rural Center established the Kansas Food Policy Council, bringing together a diverse group of public and []

With farm to school programs, the transport of farm products to the schools is in many cases the most challenging issue to be addressed. There is no one size fits all, as individual circumstances differ greatly. Some of the issues to consider are: school district size and the existence of central kitchens or satellite kitchens; []

H.R. 2749, the Food Safety Enhancement Act, addresses the programs and authority of the Food and Drug Administration (FDA). FDA currently has authority over processed foods, fruits and vegetables, and fish, while USDA has authority over meat and poultry. H.R. 2749 proposes to expand FDAs role in agriculture, particularly through creating new food safety standards, []

Federal policy can affect the work you do, whether its through school lunch regulations, access to locally grown foods, or farm conservation that affects our clean air and water. Since policy can influence you, its important to stay informed and let your legislators know how you feel. Remember that you have a valuable local []

The Activities and Impacts of Community Food Projects 2005-2009 Sponsor: USDA/ NIFA Authors: Michelle Kobayashi & Lee Tyson, National Research Center, Inc. Jeanette Abi-Nader, Community Food Security Coalition Preface: Liz Tuckermanty, Community Food Projects Program The Activities and Impacts of Community Food Projects 2005-2009 Preface The Community Food Projects (CFP) Competitive Grants Program (CFPCGP)1 []

But in too many places, its hard to get good foodespecially in low-income areas, where food is often more expensive and lower quality. Reaching the nearest full-service grocery store may take several transit stops or a long drive. People tend to eat the food thats easy to get. When thats mostly low- quality food, its []

Rachel Slocum 15 October, 2004 This paper is intended as a means to help community food security organizations understand how racism shapes the food system. It suggests there is a need to incorporate anti-racism theory and practice into community food efforts. This paper is a work in progress. It will be influenced by independent research []

Barrett Ebright, Congressional Hunger Fellow In collaboration with Sarah Borron, CFSC Policy Associate 2007 Edition edited by Steph Larsen, CFSC Policy Organizer COMMUNITY FOOD SECURITY COALITION Federal Policy Advocacy Handbook Barrett Ebright, Congressional Hunger Fellow In collaboration with Sarah Borron, CFSC Policy Associate 2007 Edition edited by Steph Larsen, CFSC Policy Organizer Acknowledgements: Thank you []

Winter 2009 Environmental Finance Center EPA Region 4 University of Louisville Allison Houlihan Turner Center for Environmental Policy and Management University of Louisville 426 West Bloom Street Louisville, KY 40208 502-852-8042 http://cepm.louisville.edu Acknowledgment The author would like to thank Wayne Long, Jefferson County Agriculture Agent and Office Coordinator, for his thoughtful and constructive comments. []

Several key findings from this research project began to answer the three questions posed by emergency food providers in Calaveras: What are the relationships between the degree of food insecurity and specific sociodemographic characteristics of these food insecure households? What are the primary reasons Calaveras County residents are forced to seek emergency food assistance? What []

United States Department of Agriculture Food and Nutrition Service 3101 Park Center Drive Alexandria, VA 22302-1500 DA TE: MEMO CODE: SUBJECT: TO: January 23, 2007 SP 02-2007 School Districts and Federal Procurement Regulations Regional Directors Special Nutrition Programs All Regions State Directors Child Nutrition Programs All States We have received numerous inquiries in the past []

CASE STUDY Nancy May, the School Food Service Supervisor, is the main organizer behind this Farm to School project. She came to Healdsburg Junior High School at a time when the cafeteria was being renovated, and decided to change the emphasis from ordering a la carte items from windows to eating a healthy, appealing meal []

To date, 24 states have passed legislation regarding farm to school programs. Below are summaries and links to the text of this legislation. This information should reflect legislation that has passed as of August 11, 2009. CA CO CT DE GA IL IA KY ME MD MA MI MT NM NY OK OR PA RI []

April 15, 2011 Kathy Mulvey, 2025438602 WASHINGTON, DCOn the heels of yesterdays approval of a federal spending plan for the current fiscal year (H.R. 1473), the U.S. House of Representatives today endorsed a budget for the fiscal year that begins on October 1, 2011 (H. Con Res. 34). These bills slash spending on human needs []

Across the country, hospitals are teaming up with local growers and producers to make changes in the food service industry and local food economy. The time is right for farms and hospitals to connect to provide patients and staff with the most healthy and fresh foods available. Community Food Security Coalition WHAT IS FARM TO []

In New York, 12 organizations received 15 CFP grants totaling $2,678,141 between the years of 1997 and 2006. City Harvest, NYC Mount Hope Integrated Community and School Food Security Project Grant awarded: $288,793 in 2006 for a three-year period. The Mount Hope program aims to increase access to nutritious foods among residents of this low-income []

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Best Brands of Garcinia Cambogia - Food Security

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Mars Colonization: Elon Musks Plans And SpaceX …

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First Posted: Sep 22, 2016 06:04 AM EDT

In less than a week, SpaceX CEO Elon Musk is reportedly going to explain his colonization plans for Mars, a goal close to his heart and one that he has championed for many years. According to speculations, Musk will talk about the technologies and vehicles needed to transport people to the Martian surface, and create a settlement there.

The Tesla cofounder is going to talk about his plans on September 27. Incidentally, the announcement coincides with an awkward time for SpaceX, after the company faced a major debacle when one of its Falcon 9 rockets exploded in the Cape Canaveral launch pad. However, going by Musk's talk schedule, it doesn't seem like the plan to discuss his Mars vision next week has changed.

"I think there is a strong humanitarian argument for making life multi-planetary in order to safeguard the existence of humanity in the event that something catastrophic were to happen,"Elon Musk had stated previously in 2014. However, the CEO of SpaceX has never absolutely cleared what his plans for Mars entail. Based on periodic information released by Musk and SpaceX, regarding various technologies, here is what can be gathered about the Mars colonization plan as of now, until the real picture is presented by the man himself.

The plan to reach the red planet, as forwarded by Musk, is based on two main elements that comprise of a rocket booster and a giant spaceship that will transport people and cargo. After being launched by the booster, the spaceship will continue on its long journey to Mars. The two vehicles have been referred to as the Mars Colonial Transporter (MCT); however last week the name was changed to Interplanetary Transport System, because Musk believes the vehicles can also make a journey beyond Mars. Over the past few years, Musk has indicated that rocket used to propel the spaceship will be reusable, and he hopes to launch the first manned spaceship in 2024. However, a test to launch a person into space has still not been conducted by SpaceX.

A key part of the rocket and spaceship will be the Raptor, a huge engine that the company has been working on since 2009. According to Musk, the Raptor will be capable of 500,000 pounds of thrust at liftoff, which implies it will be as strong as the main engines of the space shuttle. The component will reportedly be fueled with liquid methane, unlike the kerosene dependent Merlin engines used for powering the Falcon 9 rockets. Furthermore, a whole group of such raptors will power the Interplanetary Transport System, though their precise numbers are still unclear at the moment. Incidentally, the first full-scale Raptor was transported to the SpaceX testing facility in Texas earlier this year.

Musk had also revealed SpaceX's plan to launch a series of Red Dragon missions, starting in 2018 whose sole purpose will be to see if the vehicle can drop off supplies to the Martian surface to set up the framework of hardware and equipment in preparation for the people journeying from Earth. In addition, Musk has also revealed that his spaceship will be brought back to Earth and won't be on a one way journey like the Mars One project. "These spaceships are expensive, okay, they're hard to build. You can't just leave them there. So whether or not people want to come back or not is kind of - like they can jump on if they want, but we need the spaceship back," Elon Musk has stated.

At the moment, it is not clear how the spaceship is going to make a return journey or where exactly will the people, who travel to Mars, live. The details will only be revealed once Musk talks about his plans next week.

TagsMars, Elon Musk, spacex

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Annotation 1 – First Amendment – FindLaw

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RELIGION

An Overview

Madison's original proposal for a bill of rights provision concerning religion read: ''The civil rights of none shall be abridged on account of religious belief or worship, nor shall any national religion be established, nor shall the full and equal rights of conscience be in any manner, or on any pretence, infringed.'' 1 The language was altered in the House to read: ''Congress shall make no law establishing religion, or to prevent the free exercise thereof, or to infringe the rights of conscience.'' 2 In the Senate, the section adopted read: ''Congress shall make no law establishing articles of faith, or a mode of worship, or prohibiting the free exercise of religion, . . .'' 3 It was in the conference committee of the two bodies, chaired by Madison, that the present language was written with its some what more indefinite ''respecting'' phraseology. 4 Debate in Congress lends little assistance in interpreting the religion clauses; Madison's position, as well as that of Jefferson who influenced him, is fairly clear, 5 but the intent, insofar as there was one, of the others in Congress who voted for the language and those in the States who voted to ratify is subject to speculation.

Scholarly Commentary .--The explication of the religion clauses by the scholars has followed a restrained sense of their meaning. Story, who thought that ''the right of a society or government to interfere in matters of religion will hardly be contested by any persons, who believe that piety, religion, and morality are intimately connected with the well being of the state, and indispensable to the administration of civil justice,'' 6 looked upon the prohibition simply as an exclusion from the Federal Government of all power to act upon the subject. ''The situation . . . of the different states equally proclaimed the policy, as well as the necessity of such an exclusion. In some of the states, episcopalians constituted the predominant sect; in others presbyterians; in others, congregationalists; in others, quakers; and in others again, there was a close numerical rivalry among contending sects. It was impossible, that there should not arise perpetual strife and perpetual jealousy on the subject of ecclesiastical ascendancy, if the national government were left free to create a religious establishment. The only security was in extirpating the power. But this alone would have been an imperfect security, if it had not been followed up by a declaration of the right of the free exercise of religion, and a prohibition (as we have seen) of all religious tests. Thus, the whole power over the subject of religion is left exclusively to the state governments, to be acted upon according to their own sense of justice, and the state constitutions; and the Catholic and the Protestant, the Calvinist and the Arminian, the Jew and the Infidel, may sit down at the common table of the national councils, without any inquisition into their faith, or mode of worship.'' 7

''Probably,'' Story also wrote, ''at the time of the adoption of the constitution and of the amendment to it, now under consideration, the general, if not the universal, sentiment in America was, that Christianity ought to receive encouragement from the state, so far as was not incompatible with the private rights of conscience, and the freedom of religious worship. An attempt to level all religions, and to make it a matter of state policy to hold all in utter indifference, would have created universal disapprobation, if not universal indignation.'' 8 The object, then, of the religion clauses in this view was not to prevent general governmental encouragement of religion, of Christianity, but to prevent religious persecution and to prevent a national establishment. 9

This interpretation has long since been abandoned by the Court, beginning, at least, with Everson v. Board of Education, 10 in which the Court, without dissent on this point, declared that the Establishment Clause forbids not only practices that ''aid one religion'' or ''prefer one religion over another,'' but as well those that ''aid all religions.'' Recently, in reliance on published scholarly research and original sources, Court dissenters have recurred to the argument that what the religion clauses, principally the Establishment Clause, prevent is ''preferential'' governmental promotion of some religions, allowing general governmental promotion of all religion in general. 11 The Court has not responded, though Justice Souter in a major concurring opinion did undertake to rebut the argument and to restate the Everson position. 12

Court Tests Applied to Legislation Affecting Religion .--Before considering the development of the two religion clauses by the Supreme Court, one should notice briefly the tests developed by which religion cases are adjudicated by the Court. While later cases rely on a series of rather well-defined, if difficult-to-apply, tests, the language of earlier cases ''may have [contained] too sweeping utterances on aspects of these clauses that seemed clear in relation to the particular cases but have limited meaning as general principles.'' 13 It is well to recall that ''the purpose [of the religion clauses] was to state an objective, not to write a statute.'' 14

In 1802, President Jefferson wrote a letter to a group of Baptists in Danbury, Connecticut, in which he declared that it was the purpose of the First Amendment to build ''a wall of separation between Church and State.'' 15 In Reynolds v. United States, 16 Chief Justice Waite for the Court characterized the phrase as ''almost an authoritative declaration of the scope and effect of the amendment.'' In its first encounters with religion-based challenges to state programs, the Court looked to Jefferson's metaphor for substantial guidance. 17 But a metaphor may obscure as well as illuminate, and the Court soon began to emphasize neutrality and voluntarism as the standard of restraint on governmental action. 18 The concept of neutrality itself is ''a coat of many colors,'' 19 and three standards that could be stated in objective fashion emerged as tests of Establishment Clause validity. The first two standards were part of the same formulation. ''The test may be stated as follows: what are the purpose and the primary effect of the enactment? If either is the advancement or inhibition of religion then the enactment exceeds the scope of legislative power as circumscribed by the Constitution. That is to say that to withstand the strictures of the Establishment Clause there must be a secular legislative purpose and a primary effect that neither advances nor inhibits religion.'' 20 The third test is whether the governmental program results in ''an excessive government entanglement with religion. The test is inescapably one of degree . . . [T]he questions are whether the involvement is excessive, and whether it is a continuing one calling for official and continuing surveillance leading to an impermissible degree of entanglement.'' 21 In 1971 these three tests were combined and restated in Chief Justice Burger's opinion for the Court in Lemon v. Kurtzman, 22 and are frequently referred to by reference to that case name.

Although at one time accepted in principle by all of the Justices, 23 the tests have sometimes been difficult to apply, 24 have recently come under direct attack by some Justices, 25 and with increasing frequency have not been applied at all by the Court. 26 While continued application is uncertain, the Lemon tests nonetheless have served for twenty years as the standard measure of Establishment Clause validity and explain most of the Court's decisions in the area. 27 As of the end of the Court's 1991-92 Term, there was not yet a consensus among Lemon critics as to what substitute test should be favored. 28 Reliance on ''coercion'' for that purpose would eliminate a principal distinction between establishment cases and free exercise cases and render the Establishment Clause largely duplicative of the Free Exercise Clause. 29

Justice O'Connor has suggested that it is inappropriate to try to shoehorn all Establishment cases into one test, and has called instead for recognition that different contexts may call for different approaches. Supp.1 For example, the Justice proposes that cases involving government ''speech'' on religious topics be judged by an endorsement test that would invalidate government actions only if a reasonable observer would perceive the action as an endorsement or disapproval of religious belief. Supp.2

Government Neutrality in Religious Disputes .--One value that both clauses of the religion section serve is to enforce governmental neutrality in deciding controversies arising out of religious disputes. Schism sometimes develops within churches or between a local church and the general church, resulting in secession or expulsion of one faction or of the local church. A dispute over which body is to have control of the property of the church will then often be taken into the courts. It is now established that both religion clauses prevent governmental inquiry into religious doctrine in settling such disputes, and instead require courts simply to look to the decision-making body or process in the church and to give effect to whatever decision is officially and properly made.

The first such case was Watson v. Jones, 30 which was decided on common-law grounds in a diversity action without explicit reliance on the First Amendment. A constitutionalization of the rule was made in Kedroff v. St. Nicholas Cathedral, 31 in which the Court held unconstitutional a state statute that recognized the autonomy and authority of those North American branches of the Russian Orthodox Church which had declared their independence from the general church. Recognizing that Watson v. Jones had been decided on nonconstitutional grounds, the Court thought nonetheless that the opinion ''radiates . . . a spirit of freedom for religious organizations, and independence from secular control or manipulation--in short, power to decide for themselves, free from state interference, matters of church government as well as those of faith and doctrine.'' 32 The power of civil courts to resolve church property disputes was severely circumscribed, the Court held, because to permit resolution of doctrinal disputes in court was to jeopardize First Amendment values. What a court must do, it was held, is to look at the church rules: if the church is a hierarchical one which reposes determination of ecclesiastical issues in a certain body, the resolution by that body is determinative, while if the church is a congregational one prescribing action by a majority vote, that determination will prevail. 33 On the other hand, a court confronted with a church property dispute could apply ''neutral principles of law, developed for use in all property disputes,'' when to do so would not require resolution of doctrinal issues. 34 In a later case the Court elaborated on the limits of proper inquiry, holding that an argument over a matter of internal church government, the power to reorganize the dioceses of a hierarchical church in this country, was ''at the core of ecclesiastical affairs'' and a court could not interpret the church constitution to make an inde pendent determination of the power but must defer to the interpretation of the body authorized to decide. 35

In Jones v. Wolf, 36 however, a divided Court, while formally adhering to these principles, appeared to depart in substance from their application. A schism had developed in a local church which was a member of a hierarchical church, and the majority voted to withdraw from the general church. The proper authority of the general church determined that the minority constituted the ''true congregation'' of the local church and awarded them authority over it. The Court approved the approach of the state court in applying neutral principles by examining the deeds to the church property, state statutes, and provisions of the general church's constitution concerning ownership and control of church property in order to determine that no language of trust in favor of the general church was contained in any of them and that the property thus belonged to the local congregation. 37 Further, the Court held, the First Amendment did not prevent the state court from applying a presumption of majority rule to award control to the majority of the local congregation, provided that it permitted defeasance of the presumption upon a showing that the identity of the local church is to be determined by some other means as expressed perhaps in the general church charter. 38 The dissent argued that to permit a court narrowly to view only the church documents relating to property ownership permitted the ignoring of the fact that the dispute was over ecclesiastical matters and that the general church had decided which faction of the congregation was the local church. 39

Thus, it is unclear where the Court is on this issue. Jones v. Wolf restated the rule that it is improper to review an ecclesiastical dispute and that deference is required in those cases, but by approving a neutral principles inquiry which in effect can filter out the doctrinal issues underlying a church dispute, the Court seems to have approved at least an indirect limitation of the authority of hierarchical churches. 40

Footnotes

[Footnote 1] 1 Annals of Congress 434 (June 8, 1789).

[Footnote 2] The committee appointed to consider Madison's proposals, and on which Madison served, with Vining as chairman, had rewritten the religion section to read: ''No religion shall be established by law, nor shall the equal rights of conscience be infringed.'' After some debate during which Madison suggested that the word ''national'' might be inserted before the word ''religion'' as ''point[ing] the amendment directly to the object it was intended to prevent,'' the House adopted a substitute reading: ''Congress shall make no laws touching religion, or infringing the rights of conscience.'' 1 Annals of Congress 729-31 (August 15, 1789). On August 20, on motion of Fisher Ames, the language of the clause as quoted in the text was adopted. Id. at 766. According to Madison's biographer, ''[t]here can be little doubt that this was written by Madison.'' I. Brant, James Madison--Father of the Constitution 1787-1800 at 271 (1950).

[Footnote 3] This text, taken from the Senate Journal of September 9, 1789, appears in 2 B. Schwartz (ed.), The Bill of Rights: A Documentary History 1153 (1971). It was at this point that the religion clauses were joined with the freedom of expression clauses.

[Footnote 4] 1 Annals of Congress 913 (September 24, 1789). The Senate concurred the same day. See I. Brant, James Madison--Father of the Constitution 1787-1800, 271-72 (1950).

[Footnote 5] During House debate, Madison told his fellow Members that ''he apprehended the meaning of the words to be, that Congress should not establish a religion, and enforce the legal observation of it by law, nor compel men to worship God in any Manner contrary to their conscience.'' 1 Annals of Congress 730 (August 15, 1789). That his conception of ''establishment'' was quite broad is revealed in his veto as President in 1811 of a bill which in granting land reserved a parcel for a Baptist Church in Salem, Mississippi; the action, explained President Madison, ''comprises a principle and precedent for the appropriation of funds of the United States for the use and support of religious societies, contrary to the article of the Constitution which declares that 'Congress shall make no law respecting a religious establishment.''' 8 The Writings of James Madison (G. Hunt. ed.) 132-33 (1904). Madison's views were no doubt influenced by the fight in the Virginia legislature in 1784-1785 in which he successfully led the opposition to a tax to support teachers of religion in Virginia and in the course of which he drafted his ''Memorial and Remonstrance against Religious Assessments'' setting forth his thoughts. Id. at 183-91; I. Brant, James Madison--The Nationalist 1780-1787, 343-55 (1948). Acting on the momentum of this effort, Madison secured passage of Jefferson's ''Bill for Religious Liberty''. Id. at 354; D. Malone, Jefferson the Virginian 274-280 (1948). The theme of the writings of both was that it was wrong to offer public support of any religion in particular or of religion in general.

[Footnote 6] 3 J. Story, Commentaries on the Constitution of the United States 1865 (1833).

[Footnote 7] Id. at 1873.

[Footnote 8] Id. at 1868.

[Footnote 9] For a late expounding of this view, see T. Cooley, General Principles of Constitutional Law in the United States 224-25 (3d ed. 1898).

[Footnote 10] 330 U.S. 1, 15 (1947). Establishment Clause jurisprudence since, whatever its twists and turns, maintains this view.

[Footnote 11] Wallace v. Jaffree, 472 U.S. 38, 91 (1985) (then-Justice Rehnquist dissenting). More recently, dissenters, including now-Chief Justice Rehnquist, have appeared reconciled to a ''constitutional tradition'' in which governmental endorsement of religion is out of bounds, even if it is not correct as a matter of history. See Lee v. Weisman, 112 S. Ct. 2649, 2678, 2683-84 (1992) (Justice Scalia, joined by the Chief Justice and Justices White and Thomas, dissenting).

[Footnote 12] Lee v. Weisman, 112 S. Ct. 2649, 2667 (1992) (Justice Souter, joined by Justices Stevens and O'Connor, concurring).

[Footnote 13] Walz v. Tax Comm'n, 397 U.S. 664, 668 (1970).

[Footnote 14] Id.

[Footnote 15] 16 The Writings of Thomas Jefferson 281 (A. Libscomb ed., 1904).

[Footnote 16] 98 U.S. 145, 164 (1879).

[Footnote 17] Everson v. Board of Education, 330 U.S. 1, 16 (1947); Illinois ex rel. McCollum v. Board of Education, 333 U.S. 203, 211 , 212 (1948); cf. Zorach v. Clauson, 343 U.S. 306, 317 (1952) (Justice Black dissenting). In Lemon v. Kurtzman, 403 U.S. 602, 614 (1971), Chief Justice Burger remarked that ''the line of separation, far from being a 'wall,' is a blurred, indistinct and variable barrier depending on all the circumstances of a particular relationship.'' Similar observations were repeated by the Chief Justice in his opinion for the Court in Lynch v. Donnelly, 465 U.S. 668, 673 (1984) (the metaphor is not ''wholly accurate''; the Constitution does not ''require complete separation of church and state [but] affirmatively mandates accommodation, not merely tolerance, of all religions, and forbids hostility toward any'').

[Footnote 18] Zorach v. Clauson, 343 U.S. 306, 314 (1952); Engel v. Vitale, 370 U.S. 421 (1962); Sherbert v. Verner, 374 U.S. 398 (1963); Abington School District v. Schempp, 374 U.S. 203, 305 (1963) (Justice Goldberg concurring); Walz v. Tax Comm'n, 397 U.S. 664, 694 -97 (1970) (Justice Harlan concurring). In the opinion of the Court in the latter case, Chief Justice Burger wrote: ''The course of constitutional neutrality in this area cannot be an absolutely straight line; rigidity could well defeat the basic purpose of these provisions, which is to insure that no religion be sponsored or favored, none commanded, and none inhibited. The general principle deducible from the First Amendment and all that has been said by the Court is this: that we will not tolerate either governmentally established religion or governmental interference with religion. Short of those expressly proscribed governmental acts there is room for play in the joints productive of a benevolent neutrality which will permit religious exercise to exist without sponsorship and without interference.'' Id. at 669.

[Footnote 19] Board of Education v. Allen, 392 U.S. 236, 249 (1968) (Justice Harlan concurring).

[Footnote 20] Abington School District v. Schempp, 374 U.S. 203, 222 (1963).

[Footnote 21] Walz v. Tax Comm'n, 397 U.S. 664, 674 -75 (1970).

[Footnote 22] 403 U.S. 602, 612 -13 (1971).

[Footnote 23] E.g., Committee for Public Educ. & Religious Liberty v. Regan, 444 U.S. 646, 653 (1980), and id. at 665 (dissenting opinion); Stone v. Graham, 449 U.S. 39, 40 (1980), and id. at 43 (dissenting opinion).

[Footnote 24] The tests provide ''helpful signposts,'' Hunt v. McNair, 413 U.S. 734, 741 (1973), and are at best ''guidelines'' rather than a ''constitutional caliper;'' they must be used to consider ''the cumulative criteria developed over many years and applying to a wide range of governmental action.'' Inevitably, ''no 'bright line' guidance is afforded.'' Tilton v. Richardson, 403 U.S. 672, 677 -78 (1971). See also Committee for Public Educ. & Religious Liberty v. Nyquist, 413 U.S. 756, 761 & n.5, 773 n.31 (1973); Committee for Public Educ. & Religious Liberty v. Regan, 444 U.S. 646, 662 (1980), and id. at 663 (Justice Blackmun dissenting).

[Footnote 25] See, e.g., Edwards v. Aguillard, 482 U.S. 578, 636 -40 (1987) (Justice Scalia, joined by Chief Justice Rehnquist, dissenting) (advocating abandonment of the ''purpose'' test); Wallace v. Jaffree, 472 U.S. 38, 108 -12 (1985) (Justice Rehnquist dissenting); Aguilar v. Felton, 473 U.S. 402, 426 -30 (1985) (Justice O'Connor, dissenting) (addressing difficulties in applying the entanglement prong); Roemer v. Maryland Bd. of Public Works, 426 U.S. 736, 768 -69 (Justice White concurring in judgment) (objecting to entanglement test). Justice Kennedy has also acknowledged criticisms of the Lemon tests, while at the samed time finding no need to reexamine them. See, e.g., Allegheny County v. Greater Pittsburgh ACLU, 492 U.S. 573, 655 -56 (1989). At least with respect to public aid to religious schools, Justice Stevens would abandon the tests and simply adopt a ''no-aid'' position. Committee for Public Educ. & Religious Liberty v. Regan, 444 U.S. 646, 671 (1980).

[Footnote 26] See Marsh v. Chambers, 463 U.S. 783 (1983) (upholding legislative prayers on the basis of historical practice); Lee v. Weisman, 112 S. Ct. 2649, 2655 (1992) (rejecting a request to reconsider Lemon because the practice of invocations at public high school graduations was invalid under established school prayer precedents); Zobrest v. Catalina Foothills School Dist., 509 U.S. 1 (1993) (upholding provision of sign-language interpreter to deaf student attending parochial school); Board of Educ. of Kiryas Joel Village v. Grumet, 114 S. Ct. 2481 (1994) (invalidating law creating special school district for village composed exclusively of members of one religious sect). The Court has also held that the tripartite test is not applicable when law grants a denominational preference, distinguishing between religions; rather, the distinction is to be subjected to the strict scrutiny of a suspect classification. Larson v. Valente, 456 U.S. 228, 244 -46 (1982).

[Footnote 27] Justice Blackmun, concurring in Lee, contended that Marsh was the only one of 31 Establishment cases between 1971 and 1992 not to be decided on the basis on the Lemon tests. 112 S. Ct. at 2663, n.4.

[Footnote 28] In 1990 Justice Kennedy, joined by Justice Scalia, proposed that ''neutral'' accommodations of religion should be permissible so long as they do not establish a state religion, and so long as there is no ''coercion'' to participate in religious exercises. Westside Community Bd. of Educ. v. Mergens, 496 U.S. 226, 260 -61. The two Justices parted company, however, over the permissiblity of invocations at public high school graduation ceremonies, Justice Scalia in dissent strongly criticizing Justice Kennedy's approach in the opinion of the Court for its reliance on psychological coercion. Justice Scalia would not ''expand[ ] the concept of coercion beyond acts backed by threat of penalty.'' Lee v. Weisman, 112 S. Ct. 2649, 2684 (1992). Chief Justice Rehnquist has advocated limiting application to a prohibition on establishing a national (or state) church or favoring one religious group over another. Wallace v. Jaffree, 472 U.S. 38, 98 , 106 (1985) (dissenting).

[Footnote 29] Abington School District v. Schempp, 374 U.S. 203, 222 -23 (1963). See also Board of Education v. Allen, 392 U.S. 236, 248 -49 (1968); and Tilton v. Richardson, 403 U.S. 672, 689 (1971); Lee v. Weisman, 112 S. Ct. 2649, 2673 (Justice Souter concurring) (''a literal application of the coercion test would render the Establishment Clause a virtual nullity'').

[Footnote 1 (1996 Supplement)] Board of Educ. of Kiryas Joel Village v. Grumet,114 S. Ct. 2481, 2498-99 (1994).

[Footnote 2 (1996 Supplement)] Lynch v. Donnelly, 465 U.S. 668, 688 (1984) (concurring); Allegheny County v. Greater Pittsburgh ACLU, 492 U.S. 573, 625 (1989) (concurring); Board of Educ. of Kiryas Joel Village v. Grumet, 114 S. Ct. 2481, 2500 (1994) (concurring).

[Footnote 30] 80 U.S. (13 Wall.) 679 (1872).

[Footnote 31] 344 U.S. 94 (1952). Kedroff was grounded on the Free Exercise Clause. Id. at 116. But the subsequent cases used a collective ''First Amendment'' designation.

[Footnote 32] Id. at 116. On remand, the state court adopted the same ruling on the merits but relied on a common-law rule rather than the statute. This too was struck down. Kreshik v. St. Nicholas Cathedral, 363 U.S. 190 (1960).

[Footnote 33] Presbyterian Church v. Hull Memorial Presbyterian Church, 393 U.S. 440, 447 , 450-51 (1969); Maryland and Virginia Eldership of the Churches of God v. Church of God at Sharpsburg, 396 U.S. 367 (1970). For a similar rule of neutrality in another context, see United States v. Ballard, 322 U.S. 78 (1944) (denying defendant charged with mail fraud through dissemination of purported religious literature the right to present to the jury evidence of the truthfulness of the religious views he urged).

[Footnote 34] Presbyterian Church v. Hull Memorial Presbyterian Church, 393 U.S. 440, 449 (1969); Maryland and Virginia Eldership of the Churches of God v. Church of God of Sharpsburg, 396 U.S. 367, 368 (1970). See also id. at 368-70 (Justice Brennan concurring).

[Footnote 35] The Serbian Eastern Orthodox Diocese v. Dionisije Milivojevich, 426 U.S. 697, 720 -25 (1976). In Gonzalez v. Archbishop, 280 U.S. 1 (1929), the Court had permitted limited inquiry into the legality of the actions taken under church rules. The Serbian Eastern Court disapproved of this inquiry with respect to concepts of ''arbitrariness,'' although it reserved decision on the ''fraud'' and ''collusion'' exceptions. 426 U.S. at 708 -20.

[Footnote 36] 443 U.S. 595 (1979). In the majority were Justices Blackmun, Brennan, Marshall, Rehnquist, and Stevens. Dissenting were Justices Powell, Stewart, White, and Chief Justice Burger.

[Footnote 37] Id. at 602-06.

[Footnote 38] Id. at 606-10. Because it was unclear whether the state court had applied such a rule and applied it properly, the Court remanded.

[Footnote 39] Id. at 610.

[Footnote 40] The Court indicated that the general church could always expressly provide in its charter or in deeds to property the proper disposition of disputed property. But here the general church had decided which faction was the ''true congregation,'' and this would appear to constitute as definitive a ruling as the Court's suggested alternatives. Id. at 606.

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Be heard at First Amendment Field – Longwood University

Posted: at 7:46 pm

In the shadow of a landmark where student activism helped change the world, Longwood University will invite the public to make their voices heard during the Oct. 4 Vice Presidential Debate.

In 1951, 16-year-old Barbara Johns led a student walkout at all-black Moton High School. The students two-week strike launched a court challenge that became part of the Supreme Courts Brown v. Board of Education decision.

Now a National Historic Landmark that is affiliated with Longwood and located a short walk from the debate venue, the Moton Museum will be proud to help welcome a new generation of activists to Farmville on debate day: A field behind the school where Moton students once played will serve as the debates First Amendment Field.

The area will be reserved for public speaking, debate, protest and discussion on the day of the debate. Activists, protestors, concerned citizens and students are invited to address topics important to them from the stage and podium being set up there.

Creating a space for students as well as members of the broader community to engage with the issues they are passionate about... underscores Longwoods commitment to freedom of speech, peaceful protest and civic engagement.

The Moton Museum exists to honor student activism in the civil rights era, said Longwood President W. Taylor Reveley IV. Creating a space for students as well as members of the broader community to engage with the issues they are passionate about, and locating that space next to the museum, underscores Longwoods commitment to freedom of speech, peaceful protest and civic engagement.

The field behind Moton historically has been a site where citizens have asserted their First Amendment rights, said Larissa Fergeson, university liaison to the Moton Museum and professor of history at Longwood. Barbara Johns and her fellow students planned their strike on that field. Fifty years ago, in July 1966, chairman of the Student Nonviolent Coordinating Committee Stokely Carmichael gave a speech to an integrated audience here, a mere month after he coined the term Black Power at a rally in Mississippi.

Longwood University is dedicated to the development of citizen leaders, Reveley said. As the university prepares to be a host once again to history, it was vitally important for us to offer our students and members of the public the opportunity to be heard on the issues that spark their passion.

First Amendment Field is open to the general public from10 a.m.-6 p.m.onOct. 4.Those who wish to speak are strongly encouraged to pre-register for 10-minute time slots via this webpage. Latecomers may register on site if any remaining time slots are available. First Amendment Field will have a stage outfitted with a podium and PA system.

The physical address for First Amendment Field is 800 Griffin Blvd., Farmville, VA. Questions should be directed to Sherry Swinson at swinsonsd@longwood.edu.

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Bitcoin for Individuals – Bitcoin

Posted: at 7:45 pm

Bitcoin is the simplest way to exchange money at very low cost.

Bitcoin on mobiles allows you to pay with a simple two step scan-and-pay. No need to sign up, swipe your card, type a PIN, or sign anything. All you need to receive Bitcoin payments is to display the QR code in your Bitcoin wallet app and let your friend scan your mobile, or touch the two phones together (using NFC radio technology).

Bitcoin transactions are secured by military grade cryptography. Nobody can charge you money or make a payment on your behalf. So long as you take the required steps to protect your wallet, Bitcoin can give you control over your money and a strong level of protection against many types of fraud.

Just like with email, you don't need to ask your family to use the same software or the same service providers. Just let them stick to their own favorites. No problem there; they are all compatible as they use the same open technology. The Bitcoin network never sleeps, even on holidays!

Sending bitcoins across borders is as easy as sending them across the street. There are no banks to make you wait three business days, no extra fees for making an international transfer, and no special limitations on the minimum or maximum amount you can send.

There is no fee to receive bitcoins, and many wallets let you control how large a fee to pay when spending. Most wallets have reasonable default fees, and higher fees can encourage faster confirmation of your transactions. Fees are unrelated to the amount transferred, so it's possible to send 100,000 bitcoins for the same fee it costs to send 1 bitcoin.

With Bitcoin, there is no credit card number that some malicious actor can collect in order to impersonate you. In fact, it is even possible to send a payment without revealing your identity, almost like with physical money. You should however take note that some effort can be required to protect your privacy.

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Bitcoin is money, U.S. judge says in case tied to JPMorgan …

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NEW YORK Bitcoin qualifies as money, a federal judge ruled on Monday, in a decision linked to a criminal case over hacking attacks against JPMorgan Chase & Co and other companies.

U.S. District Judge Alison Nathan in Manhattan rejected a bid by Anthony Murgio to dismiss two charges related to his alleged operation of Coin.mx, which prosecutors have called an unlicensed bitcoin exchange.

Murgio had argued that bitcoin did not qualify as "funds" under the federal law prohibiting the operation of unlicensed money transmitting businesses.

But the judge, like her colleague Jed Rakoff in an unrelated 2014 case, said the virtual currency met that definition.

"Bitcoins are funds within the plain meaning of that term," Nathan wrote. "Bitcoins can be accepted as a payment for goods and services or bought directly from an exchange with a bank account. They therefore function as pecuniary resources and are used as a medium of exchange and a means of payment."

The decision did not address six other criminal counts that Murgio faces, Nathan wrote.

Brian Klein, a lawyer for Murgio, said he disagreed with the decision.

"Anthony Murgio maintains his innocence and looks forward to clearing his name at his upcoming trial," he added.

Prosecutors last year charged Murgio over the operation of Coin.mx, and in April charged his father Michael with participating in bribery aimed at supporting it.

Authorities have said Coin.mx was owned by Gery Shalon, an Israeli man who, along with two others, was charged with running a sprawling computer hacking and fraud scheme targeting a dozen companies, including JPMorgan, and exposing personal data of more than 100 million people.

That alleged scheme generated hundreds of millions of dollars of profit through pumping up stock prices, online casinos, money laundering and other illegal activity, prosecutors have said.

Shalon has pleaded not guilty, and is being held at the Metropolitan Correctional Center in Manhattan. He hired new lawyers last month and is seeking permission to replace lawyers who joined the case in June, a Monday court filing showed.

The case is U.S. v Murgio et al, U.S. District Court, Southern District of New York, No. 15-cr-00769.

(Reporting by Jonathan Stempel in New York; Editing by David Gregorio and Diane Craft)

WASHINGTON Tesla Motors Inc Thursday sued Michigan Governor Rick Snyder and other state officials in federal court over the state's refusal to allow the Palo Alto, California automaker to sell vehicles directly to consumers.

FRANKFURT Samsung Electronics aims to re-launch its flagship Note7 smartphone across Europe well before year-end, but it could well be 2017 before the company fully rebounds from a global product recall tied to defective batteries, a regional executive said on Thursday.

Gaming and gambling are among potential growth areas for Formula One as the sport's new owners seek to develop largely untapped digital markets, Liberty Media chief executive Greg Maffei said on Thursday.

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Bitcoin Wikipdia

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A bitcoin egy nylt forrskd digitlis fizeteszkz, amelyet 2009. janur 3-n egy ismeretlen (frumos nevn Satoshi Nakamoto) bocstott ki, kzvetlenl a 2008-as amerikai bankvlsg kirobbansa utn. Az elnevezs vonatkozik tovbb a fizeteszkzt kezel nylt forrskd szoftverre, s az azzal ltrehozott elosztott hlzatra is.

A tbbi elektronikus fizeteszkztl eltren a bitcoin nem fgg kzponti kibocstktl s hatsgoktl. A bitcoin a peer-to-peer hlzat csompontjai ltal trolt elosztott adatbzisra tmaszkodik. Az adatbzis tartalmazza a fizetsek adatait, garantlva az elektronikus fizeteszkzkkel szembeni alapvet kvetelmnyeket. A biztonsgot digitlis alrsok s proof-of-work rendszer adja.[2]

A bitcoinok biztonsgosan trolhatk egy pnztrcafjlban, szemlyi szmtgpen, mobiltelefonon, kls adathordzkon, vagy felh alap szolgltatknl, kldskhz s fogadsukhoz pedig csak a kld illetve a fogad bitcoincme szksges. A peer-to-peer felpts s a kzponti irnyts hinya megakadlyozza brmilyen hatsg szmra, hogy a forgalomban lev pnzmennyisget s tranzakcikat kontrolllja vagy befolysolja, ami lehetetlenn teszi a manipulcit s inflci gerjesztst.

Nem hivatalos jellege miatt ISO kdja nincs, de ltalnosan hasznlt megjellse a BTC.

A bitcoint szmos erre specializldott devizatzsde weblapon lehet amerikai dollrra s nhny ms devizra tvltani, illetve vissza, fizetsnl online es "offline" kereskedk/szolgltatk egyarnt elfogadjk, szmuk jelentsen n. Egyes szolgltatk lehetv teszik kereskedk szmra bitcoin elfogadst olyan mdon, hogy a keresked azonnal dollrban vagy egyb szoksos devizban kapja meg a bevtelt. Ezen kvl hasznlhat kzrdek felajnlsokra egyes szervezeteknl.[3]

Mivel a fizets nem egy kzponton keresztl zajlik, a mr megtrtnt tranzakcik visszafordtsra nincs md, szemben a hagyomnyos banki rendszerekkel, ahol csals gyanja esetn, vagy egyb okokbl a bankok s ms pnzintzetek sztornzhatjk a korbban jvhagyott kifizetst.

Ellenttben az orszgok ltal kibocstott fizeteszkzkkel, a bitcoinnak nincs kzponti kibocstja, amely az rfolyam stabilits vagy egyb rdekek szerint intervencit, vagy egyb akcit hajtana vgre.[4] 2013 novemberig valamivel tbb mint 12 milli bitcoin jtt ltre, ezt a szmot a hlzat algoritmikusan hatrozza meg, ahogy azt Nakamoto cikkben lerta. A monetris bvls mrtke elre ismert s brki szmra kvethet, az sszes bitcoinok szma idvel 21 millihoz tart, 2013-ra a teljes mennyisg fele, 2017-re hromnegyede fog rendelkezsre llni. A hatr kzeledtvel a bitcoinok rtke nvekedni kezdhet, deflcihoz vezetve, amennyiben a pnzre a kereslet tovbb n. Ugyanakkor a bitcoinok 8 tizedesjegyig oszthatak, gy ez technikai akadlyt nem jelent, szemben a megszokott pnzeszkzkkel.

A bvls cskken teme sztnzi a korai elfogadkat, akik mg alacsonyabb korai rfolyam mellett jutnak bitcoinokhoz, gy segtve a rendszer sikerre vitelt. A korai elfogadknak ez a kedvezmnyezse szmos kritikt eredmnyezett, gyakran piramisjtkhoz hasonltva a rendszert, m a tmogatk szerint ez az sztnz szksges ahhoz, hogy a hlzat s az infrastruktra beinduljon, egy arnyosabb rszeseds nem ellenslyozn megfelelen azt a kockzatot amit egy j, nem tesztelt fizetsi rendszer hasznlata jelent.[5]

Mivel a tranzakcikat az egsz hlzat fel sztkldik a csompontok, azok teljesen nyilvnosak. Szemben a hagyomnyos pnzgyi intzetekkel, amelyek az gyfelek magnszfrjt a tranzakcikra vonatkoz informcik visszatartsval vdik, ezt a Bitcoin rendszerben az biztostja, hogy a cmek tulajdonosra vonatkoz informcik nem ismertek. Ha pldul Alz kld Bobnak 12 BTC sszeget, akkor a nyilvnos adatok kztt csak az ltszik, hogy kt cm kztt 12 BTC sszeg mozgott. Hacsak valamilyen oknl fogva a rsztvevk nem hozzk nyilvnossgra, hogy az adott cmeknek k a tulajdonosai, szinte lehetetlen ket sszekapcsolni. Ugyanakkor ha egy cmrl egyszer mr kiderlt, hogy kihez tartozik, az ahhoz tartoz korbbi tranzakcik is visszakereshetek.

A hlzaton s az elosztottan trolt adatbzisban a tranzakciknl a kifizet s a kedvezmnyezett kizrlag a bitcoincmvel jelenik meg. Ez a cm nem ms, mint egy kriptogrfiai kulcspr publikus fele, amely lehetv teszi a cm tulajdonosnak (aki a privt kulcsot egyedl birtokolja), hogy a cmn lv egyenleg terhre kiadott tranzakcikat alrja. Mivel egy szemly brmennyi cmet ltrehozhat magnak, amelyekrl nem derl ki, hogy egy emberhez tartoznak, a pnz mozgsnak kvetse szinte lehetetlen.

A hlzatot alkot csompontok kztt nincs kiemelt szerep, a jelenlegi megvalsts szerint mindegyikk a teljes adatbzist trolja, gy a rendszer brmekkora szm csompont kiesse esetn is tovbb mkdik.

Az anonimitst s a kzponti kontroll hinyt elnysnek tallhatjk az illeglis zletet folytatk is. A rendszerrel szembeni egyik leggyakoribb kritika szerint mkdse elsegti a trvnytelen zletek lebonyoltst, s emiatt az egsz fizetsi rendszert illeglisnak kell tekinteni.[6] A trvnyessgi agglyokra egy Bitcoint hasznl drogkeresked weblap irnytotta r a figyelmet.[7]

A Bitcoin protokoll a Nakamoto Satoshi cikkben[8] lert s ltala kzztett kliensben megvalstott elveket kveti.

A nyilvnos kulcs digitlis alrs segtsgvel lehetsg van ellenrizni, hogy egy adott cm tulajdonosa valban hozzjrult-e a cmhez tartoz egyenleg terhre trtn fizetshez. Az egyenleg ellenrzse az adott cmre korbban berkez, hasonlkppen alrt tranzakcik lekrdezsvel oldhat meg. A hlzatban rszt vev felhasznlk mindegyiknek van legalbb egy pnztrcja, amelyben helyben generlt nyilvnos-privt kulcsprok tallhatak. Tranzakci alrshoz a kliensprogram a privt kulcsot hasznlja. Fizets fogadshoz a nyilvnos kulcs egy olvashat formjt kell a msik flnek megadni. Ez az olvashat forma ltalban 33 krli szm karakterbl ll, s mindig egyessel kezddik, mint pldul 15VzdkAvVpZsVAhw84esj14GVXbzUm9VTk.

Az alapvet problma a fentiek biztostsa mellett annak megakadlyozsa, hogy valaki a birtokban lv pnzt tbbszr elkltse. Ennek megakadlyozsra az adatbzis 10 percenknt bvl egy-egy blokkal, ahol az j blokkot egy vletlenszeren vlasztott csompont lltja ssze nllan gy, hogy abban ne legyen tlklts. Az adatbzisba gy bekerlt blokkban szerepl tranzakcikat a tbbi csompont megtrtntnek fogadja el.

Mivel a kvetkez blokkot elllt rsztvev kivlasztsa vletlenszeren trtnik, elfordulhat, hogy tbb blokk jn ltre, egyes csompontok pedig a ksbbi blokkok ltrehozshoz nem ugyanazokat az elzmnyeket hasznljk. A hlzat tagjai az ltaluk elrhet blokkok kzl azokat fogadjk el rvnyesnek amelyekbl a leghosszabb lnc llthat el.

Annak rdekben, hogy ezt kihasznlva ne lehessen egy korbban mr elfogadott tranzakcit meg nem trtntt tenni, az j blokkok adatbzishoz adst a protokoll szndkosan nehzz teszi. A csompontoknak egy j blokk kzzttelekor bizonytaniuk kell, hogy jelents szmtsi teljestmnyt ignyl, nehz kriptogrfiai feladatot oldottak meg, ennek megkvetelt mrtke pedig folyamatosan gy van szablyozva, hogy a hlzaton krlbell 10 percenknt egy csompont legyen kpes ezt teljesteni. Ennek eredmnyeknt a hlzaton a tbbsgi dntst a mgttes szmtsi kapacits hatrozza meg. A hlzat feletti ellenrzs tvtelhez legalbb akkora szmtsi teljestmnyre van szksg, ami a hlzat tbb mint felt adja.

A szksges szmtsi teljestmny felajnlsnak sztnzsre minden egyes kzztett blokk utn a kzztev csompont rszesl az jonnan ltrejtt pnzbl, amelyet a sajt cmre rhat. Jelenleg minden blokkrt 25 Bitcoin jr, ez a ksbbiekben cskkenni fog, a protokoll ltal meghatrozott temben. Az gy kiosztott bitcoinok begyjtsre irnyul erfesztsek eredmnyeknt a hivatalos klienstl fggetlen clprogramok jttek ltre, amelyek kizrlagos clja a minl nagyobb szmtsi kapacits hlzatba kapcsolsa s gy ennek a jutalomnak az elnyerse. Ezt a folyamatot szoktk bnyszatnak (mining) nevezni, utalva arra, hogy a nemesfmek bnyszathoz hasonlan j rtkhordoz kerl forgalomba. Jelenleg a kapacits nagy rszt videkrtyk ltalnos cl processzorn fut clprogramok adjk.

Annak rdekben, hogy a 21 millis hatrhoz kzeledve is fenntarthat legyen az sztnzs, lehetsg van a tranzakcikhoz jutalk belltsra. Az egyes blokkokban szerepl tranzakcikhoz tartoz jutalkokat az adott blokkot kzztev node sajt cmre rhatja, gy sztnzve a blokkok ltrehozst. Ez azonban nem ktelez, jelenleg az tranzakcik nagy rsze jutalk nlkl trtnik.

Ahhoz hogy minden cmhez tartoz egyenleg ellenrizhet legyen, a korbbi tranzakcik mindegyikt trolni kell, gy az adatbzis mrete folyamatosan n. A mkdsi elv miatt legalbb nhny csompontnak trolnia kell a teljes adatbzist, de nem kell felttlenl az sszesnek. Jelenleg (2011 jnius) az adatbzis alig pr szz megabjt, gy minden kliens megkapja a teljes msolatot az els indts utn nem sokkal.

Nakamoto elkpzelse szerint ha az adatbzis nagyobb vlik, olyan kliensekre lesz szksg, amelyek az adatbzisnak csak a relevns rszt troljk. Erre a clra egy olyan Merkle fa szolgl, ami lehetv teszi, hogy a kliens az adatbzisnak olyan rszeit eldobja, amikrl tudja, hogy a jvben nem lesz r szksge, mikzben a megmarad rsz kriptogrfiai integritsa megmarad.

Az eredeti nylt forrskd kliens minden nagyobb platformra lefordtott vltozatban is elrhet, a bitcoinok kldshez s fogadshoz szksges minden funkcit tartalmaz, folyamatosan fejlesztik. A blokkok generlsra azonban csak a CPU hasznlatval kpes, GPU-alap generlshoz kln szoftver szksges.

A C++-ban rt kliensen kvl elrhetek ms kliensek is, a projekt kzponti oldaln az rdekldk ttekintst kaphatnak az elrhet alternatvkrl. Az jabb kliensek egy rsze nem ignyli a teljes blokklnc letltst, ehelyett egy tvoli gpen fut teljes bitcoin kliensre tmaszkodik, gy lnyegesen egyszerbben hasznlhat. (pl. Multibit, electrum)

A blokkok kzzttelhez szksges kriptogrfiai feladatok megoldsra klnll, nylt forrskd programok szolglnak, amelyek tbbsge a modern, programozhat grafikus hardvereket hasznlja a hlzat ltal ignyelt nehz kriptogrfiai feladat elvgzsre. Mivel a csompontok nagy szma miatt ma mr egy-egy felhasznlnak elenyszen kis eslye van egy blokkot megoldani s az rte jr jutalmat megszerezni, ezeket a programokat lehetsg van gy belltani, hogy egy szerver irnytsa alatt kzsen dolgozzanak. Ekkor ha az egyttmkd programok kzl egy megtallja a megoldst, a jutalmon osztoznak a rsztvevk.

A Bitcoin f fejlesztje Satoshi Nakamoto lnven publiklta a szoftvert. Ksbb Craig Steven Wright azt lltotta, hogy Satoshi,[9] de ksbb hitelt rdemlen nem tmasztotta ezt al. Sokig hittk, hogy Satoshi Nakamoto egy japn programoz, de ennek ellentmondott precz brit formai angolsga, amivel lerta a rendszert, s az amerikai szlengje, amivel frumozott, ami azt engedi felttelezni, hogy inkbb egy csoport ll a Bitcoin kibocstsa mgtt mintsem egy konkrt szemly. A Bitcoin szoftvert Satoshi Nakamoto eredetileg Windowsra rta csak meg, a linuxos vltozat ltrehozsban nagy szerepet jtszott Martti Malmi.

A legels blokkban az albbi zenet szerepel:

"The Times 03/Jan/2009 Chancellor on brink of second bailout for banks"

Ami magyar nyelvre sz szerint fordtva a kvetkezket jelenti:

"The Times 2009. janur 3., a pnzgyminiszter a hatrn van a bankok msodik kisegtsnek."

Megoszlanak a vlemnyek arrl, hogy ez milyen cllal kerlt bele, egyesek szerint csupn idblyegz szerept tlti be (az els blokk a tovbbiakkal ellenttben rtelemszeren nem tud korbbiakra hivatkozni s gy bizonytani, hogy adott idpont utn jtt ltre), msok az zenetet a pnzgyi rendszer kritikjaknt vlik rtelmezni.

A bitcoint folyamatosan szmos kritika ri, jogi, gazdasgi, technolgiai megfontolsok alapjn egyarnt.

A nvnlklisg kivl terep a bnzk szmra: pnzmosshoz, nvtelen zsarolshoz hasznlhat, gyerekporn s illeglis hacker tevkenysg fizetsge lehet, br az amerikai szentus tagjai is megjegyeztk, hogy illeglis tevkenysg folytatshoz a kszpnz a leghatkonyabb fizet eszkz.

A kzponti rszablyozs hinya az rfolyamot nagyon vltozkonny teszi, a teljes monetris bzishoz kpest alacsony forgalom mellett mozg r pedig gyakran szlssges mozgsokat, hirtelen felfutsokat s drasztikus sszeomlsokat eredmnyez. Emiatt s a korai hasznlk ltal birtokolt nagy mennyisg bitcoin miatt szoktk piramisjtkhoz hasonltani a rendszert.

A tranzakcik visszafordthatatlansga egyes esetekben megnehezti a vsrlk tversekkel szembeni vdelmt, valamint a hagyomnyos banki rendszerekkel ellenttben ha valamilyen rosszindulat program eltulajdont bitcoinokat, azokat a hagyomnyos bankszmlkkal ellenttben eslytelen visszaszerezni. Ezt a kritikt azonban a rendszert hasznlk azon az alapon utastjk el, hogy a tradicionlis rendszerekben a kresemny utni kompenzci nem ingyenes, hanem be van ptve a pnzgyi szolgltatk zleti modelljbe. A bitcoin protocol bta, fejleszts alatt ll, tbbek kztt a beptett "escrow" funkci sem aktv mg.

A hlzat biztonsgt garantl s frissen kibocstott bitcoinokkal jutalmazott bnyszs 2013-ra jelents iparr ntt, az egymssal versenyz szereplk hatalmas szmtsi erforrsokat zemeltetnek. Ez hatalmas hardver- s energiaignnyel jr, ami sokak szerint flsleges s tlz trsadalmi kltsg egy fizetsi rendszer fenntartsrt. Ez a kritika sem felttlenl rendelkezik alappal, amg nincs rendelkezsre ll pontos adat a megszokott pnzgyi szolgltatk energia ignyrl, az egsz rendszert figyelembe vve (POS eszkzk, ATM-ek, banki pletek, stb). Ezekkel szemben a bitcoin rendszer llandan zemel, kzpontostatlan mivolta miatt nincs sznet a szolgltatsban.

Ez a szcikk rszben vagy egszben a Bitcoin cm angol Wikipdia-szcikk ezen vltozatnak fordtsn alapul. Az eredeti cikk szerkesztit annak laptrtnete sorolja fel.

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National Space Society

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Our Vision: People living and working in thriving communities beyond the Earth, and the use of the vast resources of space for the dramatic betterment of humanity.

The Society publishes Ad Astra magazine and maintains an active global network of volunteers and local chapters. Membership and participation are open to all. Join the space movement, and help build a positive future for humanity!

Enterprise In Space: A Tutor for Every Child, video presentation for the MacArthur Foundation 100&Change Grant.

The President of the National Space Society describes how many children around the world lack access to a basic education and how ValueSpring Technology is developing an artificial intelligence that will be a tutor for each person, thus helping to bring about the world that Gene Roddenberry imagined, where everyone is able to contribute to his or her full potential. This project is being submitted in competition for a $100 million MacArthur Foundation grant to fund a single proposal that promises real and measurable progress in solving a critical problem of our time.

Elon Musk talk Making Humans a Multiplanetary Species to be webcast September 27

On Tuesday September 27, on the second day of the International Astronautical Congress (IAC) in Guadalajara, Mexico, Elon Musk will deliver a special keynote presentationonMaking Humans a Multiplanetary Species.

Musk will discuss the long-term technical challenges that need to be solved to support the creation of a permanent, self-sustaining human presence on Mars. The technical presentation will focus on potential architectures for colonizing the Red Planet that industry, government and the scientific community can collaborate on in the years ahead.

The presentation is scheduled for one hour beginning at 2:30 PM Eastern Daylight Time, 1:30 PM Central Daylight Time (Guadalajara), 12:30 PM Mountain Daylight Time, and 11:30 AM Pacific Daylight Time.

This and other IAC plenary sessions will be webcast on thisdirect link to IAC webcasts on livestream.com. For a schedule of other sessionssee theIAC website plenaries and highlight lectures page.

National Space Society Congratulates NASA, ULA, and Lockheed Martin on the Successful Launch of OSIRIS-REx

(Washington, DC -- September 9, 2016) With the successful launch of a United Launch Alliance Atlas 5 411 on September 8 at 7:05 PM EST, 2016 from Space Launch Complex 41 at Cape Canaveral Air Force Station, Florida, NASAs mission to travel to a near Earth asteroid and return a sample got underway. NSS congratulates the team who made this happen. OSIRIS-REx stands for Origins, Spectral Interpretation, Resource Identification, and Security-Regolith Explorer.

OSIRIS-REx has NSS members really excited, said Bruce Pittman, NSS Senior Vice President. The craft will provide a complete map of the chemistry and mineralogy of a carbon based asteroid. Such asteroids will be critical for both the economic development and settlement of space. The TAGSAM sample collection device may provide a foundation for the development of future asteroid mining robots. Dante Lauretta, the OSIRIS-REx principal investigator, and his team at the University of Arizona have put together a really impressive mission.

See full press release.

National Space Society Urges Renewed Commitment to Competition and Reusability Following Falcon 9/Amos 6 Incident

(Washington, DC -- September 6, 2016) At about 9:07 AM September 1, 2016, during preparation for a routine static fire test of the SpaceX Falcon 9 on Space Launch Complex 40 at Cape Canaveral, an explosion resulted in the loss of both the F9 and the satellite payload. At this time there are no reports of injuries in the incident. Although Elon Musk has reported that the explosion Originated around [the] upper stage oxygen tank the cause remains unknown.

Clearly this incident is a setback for SpaceX, said Dale Skran, NSS Executive Vice President. However, it emphasizes the wisdom of NASA in supporting multiple cargo and crew carriers to the International Space Station. NASA deserves the highest praise for holding fast to supporting multiple providers with dissimilar vehicles to provide both competition and redundancy. NSS looks forward to the return to flight of the Orbital ATK Antares rocket hauling cargo to the ISS later this year, and welcomes the addition of Sierra Nevadas Dreamchaser to the list of ISS cargo haulers.

See full press release.

National Space Society Book Project: Space 2.0

(Washington, DC -- July 25, 2016) The National Space Society has contracted with space historian and author Rod Pyle to write a new book entitledSpace 2.0. This new book will embark on a compelling narrative about the future development, exploration and settlement of the final frontier. NSS plans to use the finished volume as a primary tool for outreach and STEM/STEAM educational efforts, as well as supporting the organization in the broader marketplace. See full announcement.

The National Space Society Applauds Alan Stern Winning the NASA Distinguished Public Service Medal

(Washington, DC -- July 19, 2016) The National Space Society congratulates Dr. Alan Stern on winning the NASA Distinguished Public Service Medal. This award is the highest honor that NASA can bestow. NSS has also awarded one of our highest honors to Dr. Stern, the NSS Wernher von Braun Award, which he received at our International Space Development Conference last May in San Juan, Puerto Rico. Dr. Stern was Principal Investigator of NASAs New Horizons mission to Pluto. See full press release.

National Space Society Applauds SpaceX Launch of IDA to the ISS and successful RTLS of the Falcon 9 First Stage

(Washington, DC -- July 18, 2016) With a successful launch on July 18 at 12:45 AM EST, 2016 from Space Launch Complex 40 at Cape Canaveral Air Force Station, SpaceX achieved several dramatic milestones on the Commercial Resupply Services 9 mission (CRS-9). In addition to supplies and experiments in the pressurized part of the Dragon, an unpressurized trunk houses the 1,028 lb (467 kilogram) International Docking Adaptor (IDA), manufactured by Boeing. The IDA, once attached to the International Space Station (ISS) will be the connecting point for Boeings CST-100 Starliner and SpaceXs Crewed Dragon 2 spacecraft as they bring American astronauts to the ISS on American-built and operated vehicles for the first time since the end of the Space Shuttle program. See full press release.

The National Space Society Congratulates Boeing on 100 Years of Aerospace Excellence

(Washington, DC -- July 16, 2016) NSS congratulates the Boeing Company on reaching its 100th anniversary, and doing so while continuing to be the world leader in the aerospace business. NSS was very happy to view the recent Boeing You Just Wait commercial (below), and to hear the words of Boeing CEO Dennis Muilenburg, who said Friday, In another 100 years, we might make daily trips to space, fly across the globe in less than an hour, or receive unlimited clean power from solar satellites. See full press release.

The National Space Society Pays Tribute to the Space Policy Leadership of Former FAA Leader Patricia Grace Smith

(Washington, DC -- June 14, 2016) The National Space Society celebrates the life and contributions of a visionary champion of the commercial space industry and human space settlement, the Honorable Patricia Grace Smith. Ms. Smith unexpectedly passed away on June 5th, after quietly fighting pancreatic cancer over the last year.

The commercial space industry owes a huge debt to Patti Grace Smith whose years of determined and well-reasoned advocacy combined with her natural charm and grace won over many converts in government and fostered the birth of a new industry. There might not be a commercial space flight industry were it not for Pattis leadership, said Bruce Pittman, Senior Operating Officer of the National Space Society.

See full press release.

Smithsonian Science Education Center and NSS Team Up for Next-Generation Space Education Program Enterprise In Space

(Washington, DC -- May 11, 2016) Enterprise In Space (EIS), an international program of the National Space Society, is excited to announce the signing of a Memorandum of Understanding with the Smithsonian Science Education Center (SSEC). EIS and SSEC plan to collaborate on two projects dedicated to space education. The first is a mission patch design challenge in collaboration with the U.S. Department of Education to present at Space Day at the National Air and Space Museum, tentatively set to occur this summer. The second is the development of a space science summer course for the Smithsonian Science Education Academies for Teachers (SSEATs) that will enrich and enhance space education in the participating educators classrooms. See full press release.

NSS Applauds SpaceX for Successful Drone Ship Landing and Launch of CRS-8/BEAM

(Washington, DC -- April 8, 2016) With a successful launch on April 8, SpaceX achieved several dramatic milestones. In this mission it is hard to know what to be the most excited about, said Dale Skran, NSS Executive Vice President. SpaceX continues to break new ground in lowering the cost of going into space, and the drone ship landing is key to maximizing the amount that can be lifted into space by a first stage that is flying back to Earth. BEAM will pave the way for more affordable future commercial and deep space stations. See full press release.

The Space Exploration, Development, and Settlement Act of 2016

(Washington, DC -- March 25, 2016) The Space Exploration, Development, and Settlement Act of 2016 (H.R. 4752) has been introduced by Congressman DanaRohrabacher to require the National Aeronautics and Space Administration to investigateand promote the exploration and development of space leading to humansettlements beyond Earth, and for other purposes.

The National Space Societyurges you to call or write your Congressional Representative today and request that he or sheco-sponsor H.R. 4752 (the Space Exploration, Development, and Settlement Act of 2016). Youshould specifically ask that the space staffer for yourRepresentative should contact Tony DeTora in Congressman Rohrabachers office to become a co-sponsor.

The full text of the bill can be found here:nss.org/sedsact. More information on the NSS Blog.

Space Solar Power Team Breaks Through at D3 Innovation Summit

(Washington, DC -- March 7, 2016) The National Space Society congratulates the Space Solar Power D3 (SSPD3) team on sweeping the awards in a March 2 multi-departmental competition to find promising new technology ideas that could simultaneously advance diplomacy, defense and development (D3). The SSPD3 team proposal was titled Carbon-Free Energy for Global Resilience and International Goodwill. See full press release and video of the 11-minute presentation below.

The Gravity of the National Space Societys Vision

(Washington, DC -- February 15, 2016) We are very proud and honored to congratulate the amazing achievement of our NSS member Dr. Kip Thorne for his leading involvement in the creation of the LIGO (Laser Interferometer Gravitational Wave Observatory) project. LIGOs recent world-changing detection of the existence of gravitational waves predicted by Einstein a century ago in his General Relativity Theory.

Regarding the grand NSS vision, Dr. Thorne remarked, I think that its clear that it is attainable to colonize the solar system. Getting beyond the solar system is going to be exceedingly difficult. We are going to either require a lot of brute force over a period of several centuries or else a brilliant idea that none of us has grasped yet. The first thing is the solar system, but we have not been moving at anything like the pace that we could or we should. See full press release.

NSS Pays Tribute to Late NSS Governor Dr. Marvin Minsky, A Pioneer in Artificial Intelligence

(Washington, DC -- February 11, 2016) The National Space Society pays tribute toDr. Marvin Minsky, who was very involved in early NSS activities and was part of many NSS space policy projects such as the 1981 Citizens Advisory Council on National Space Policy. He died on January 14 in Boston from a cerebral hemorrhage at the age of 88. Hugh Downs, Chair of the NSS Board of Governors, said, Marvin Minskywas a bright light in the arena of accelerating knowledge in modern physics. Where many of us plodded along to keep up with these changes, he seemed to always manage tobe evenwith them. He will be sorely missed by those who worked with him and knew him well. See full press release.

Settling Space Is the Only Sustainable Reason for Humans to Be in Space

(Washington, DC -- February 1, 2016) Dale Skran, NSS Executive Vice President, has published the following article in The Space Review:

As robotic and artificial intelligence technologies improve and enable increasingly robust exploration without a human presence, eventually there will be only one sustainable reason for humans to be in space: settlement. Research into the recycling technology required for long-term off-Earth settlements will directly benefit terrestrial sustainability. Actively working toward developing and settling space will make available mineral and energy resources for use on Earth on a vast scale. Finally, space settlement offers the hope of long-term species survival that remaining on Earth does not. SEE FULL ARTICLE.

National Space Society Congratulates Blue Origin on First Reflight of New Shepard Rocket

(Washington, DC -- January 23, 2016) On January 22, 2016, two months after Blue Origins New Shepard rocket first successfully flew to the edge of space and returned to its launch site intact, Blue Origin again made history by re-flying the same vehicle. Jeff Bezos stated Though wings and parachutes have their adherents and their advantages, Im a huge fan of rocket-powered vertical landing. Why? Becauseto achieve our vision of millions of people living and working in spacewe will need to build very large rocket boosters. And the vertical landing architecture scales extraordinarily well.

Blue Origins successful re-use of the New Shepard booster after reaching the edge of space represents a major step toward a fully re-usable sub-orbital vehicle, said Bruce Pittman, NSS Senior Vice President and Chief Operating Officer. SEE FULL PRESS RELEASE AND VIDEO on the NSS Blog.

National Space Society Applauds Selection of Dream Chaser, Dragon 2, and Cygnus for ISS Cargo Services

(Washington, DC -- January 16, 2016) NSS congratulates Orbital ATK (Cygnus), Sierra Nevada (Dream Chaser), and SpaceX (Dragon 2) for being selected to provide cargo services to the International Space Station as part of the Commercial Resupply Service 2 (CRS-2) contract. The CRS contract covers the delivery of supplies to the ISS, disposal of ISS waste, and the return of scientific samples from the ISS. The new contract provides a minimum of six missions to each of the three winners during the period 2019-2024. A NASA spokesperson said, NASAs service contracts to resupply the space station have changed the way the agency does business in low-Earth orbit. With these contracts, NASA continues to advance commercial spaceflight and the American jobs it creates.

This announcement represents a major forward advance for NASA and the CRS program, said Dale Skran, NSS Executive Vice President. Both Orbital ATK and SpaceX added significant new capabilities over the first contract. In the new contract, the up-sized Cygnus with new solar panels will be used, and the Dragon 2 offers options for both berthing and docking, along with a rapid return to Earth capacity via propulsive landing. However, the selection of Sierra Nevada and the Dream Chaser means that for the first time since the retirement of the Space Shuttle reusable winged vehicles will be returning from space and landing at Kennedy Space Center.

NSS congratulates NASA on adding a third CRS provider, said Mark Hopkins, Chair of the NSS Executive Committee. The CRS-2 program now has triple redundancy in both orbital components and launch vehicles. NSS members look forward to the Dream Chasers first return from space. See full press release.

Interviews of NSS Chairman Mark Hopkins

Mark Hopkins, Chairman of the NSS Executive Committee, was interviewed on The Space Show on January 4 on the subject of space settlement in general and interstellar space settlement in particular. You can downloadthe 90-minute program here: thespaceshow.com/show/04-jan-2016/broadcast-2617.

You can hear other interviews of Mark conducted byDr. Karl Hricko on the show Contours on member-supported public radio station WNTIoperated by Centenary College in Hackettstown, NJ: Mark Hopkins interview August 23, 2015 (14 minutes) and Mark Hopkins interview May 28, 2015 (21 minutes).

Mark was also on a special edition of The Space Show in March 2007: thespaceshow.com/show/10-mar-2007/broadcast-683-special-edition.

National Space Society Partners with Voices From L5: A Space Settlement Podcast

(Washington, DC -- January 6, 2016) The National Space Society is proud to announce its partnership withVoices From L5. This exciting new podcast will open new discussions on space settlement, focusing on the humanities and social sciences, and educate the public on the science of space settlement. Space settlement is the concept of humankind moving our economy into space, with people living and working in space.

NSS vice president for Public Affairs Lynne Zielinski said, We are thrilled to strengthen our online community and outreach by branching into the vibrant world of podcasts, and we are very excited to be working withVoices From L5. This podcast project will explore topics such as law, art, politics and sociology to generate excitement among a whole new generation of space settlement enthusiasts.

To learn more aboutVoices From L5visit: https://www.patreon.com/VoicesFromL5

For previous podcasts visit: http://www.podcastchart.com/podcasts/voices-from-l5

Made In Space Teams with Enterprise In Space to 3D Print First Space-Bound Airframe

(Washington, DC -- December 18, 2015) Enterprise In Space (EIS), an international project of the non-profit National Space Society, is excited to announce a partnership with Made In Space, Inc. to extensively use 3D printed components in a spacecraft to be launched into Earth orbit. This educational spacecraft will be the first real spacecraft bearing the Enterprise name. Once in orbit, the NSS Enterprise will not only be the first 3D printed airframe in space, but it will also carry more than 100 passive and active student experiments into space and back to Earth.

See full press release.

The National Space Society Pays Tribute to Dr. Kalam One of Our Leading Lights Has Joined the Stars

(Washington, DC -- July 31, 2015) On 27 July 2015, Dr. APJ Abdul Kalam, eleventh President of India and a friend and inspiration to the National Space Society (NSS), passed away. NSS would like to convey our condolences to the family and friends of Dr. Kalam, and to all of India. His death is a great loss not only to India, but to the whole of humanity, said Mark Hopkins, chair of the NSS Executive Committee. In his honor, a permanent part of the online NSS library will be dedicated to his visionary space legacy. He was a true friend to NSS giving his name to our shared Kalam-NSS Space-based Solar Power Initiative.

One of the true statesmen of our generation, Dr. Kalam was regarded as one of the greatest minds, visionaries, and peacemakers of the early 21stcentury. Dr. Kalam was a towering spacefaring advocate. His passing is a deep loss to NSS. Loved and admired by the masses of India, he was loved and admired by us as well. We were honored to work with him and to present him with our 2013 Wernher von Braun Memorial Award (photo) for leading India into space and for being a global leader in space development. He will be missed terribly by all around the world who share a common vision of humanitys future in space.

See full press release.

NASA-Funded Study Reduces Cost of Human Missions to Moon and Mars by Factor of Ten

(Washington, DC -- July 20, 2015) The National Space Society (NSS) and Space Frontier Foundation (SFF) today announced their support for NASAs funding of the newly released NexGen Space study, illustrating how to cut the cost of human space exploration by a factor of 10. The study, Economic Assessment and Systems Analysis of an Evolvable Lunar Architecture that Leverages Commercial Space Capabilities and Public Private Partnerships, finds public-private partnerships are able to return humans to the Moon for approximately 90% less than the previously estimated $100 billion, allowing the United States to ensure national security in a new space age.

NSS congratulates NASA for funding the team at NexGen that discovered how such cost reductions are possible, said NSS Executive Committee Chair, Mark Hopkins. A factor of ten reduction in cost changes everything.

See full press release and video of press conference.

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National Space Society

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Worlds Leading Genomics Conference | Global Meetings …

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ConferenceSeries LLC provides the perfect platform for global networking and we are truly delighted to invite you to attend our 6thInternational Conference on Genomics & Pharmacogenomics, during July 13-14, 2017 Chicago, USA. Genomics-2017 is a global platform to discuss and learn about Genomics & Pharmacogenomics and its allied areas Bioinformatics, Transcriptomics, Biotechnology, Molecular Biology, Molecular Genetics and Genetic Engineering.

Track 1:Cancer Genomics

TumorGenomicsis the investigation ofhereditarytransformationsin charge of malignancy, utilizinggenomesequencingandbioinformatics. Diseasegenomicsis to enhance growth treatment and results lies in figuring out which sets of qualities and quality associations influence diverse subsets of tumors. UniversalCancer GenomeConsortium (ICGC) is a deliberate experimental association that gives a discussion to joint effort among the world's driving growth andgenomic analysts.

RelatedConferences: InternationalConference onNext Generation Sequencing, July 21-22, 2016 Berlin, Germany; 4th InternationalConferenceonIntegrativeBiology, July 18-20, 2016, Berlin, Germany, InternationalConferenceonClinicalandMolecularGenetics, November 28-30, 2016 Chicago, USA; InternationalConferenceonMolecularandCancerBiomarkers, September 15-17 2016, Berlin, Germany; 5th InternationalConferenceonCellandGeneTherapy, May 19-21, 2016 San Antonio, USA;CancerGenome(Q1), February 7-11, 2016, Alberta, Canada; 18th InternationalConference onCancer Genomics, January 26 - 27, 2016, Jeddah, Saudi Arabia; Enhancer Malfunction in Cancer (Q6), February 21-24, 2016, New Mexico, USA;DNA Damage, Mutation & Cancer, March 13-18, 2016, Ventura, USA; Chromatin andEpigenetics, 20 March 2016, Dubrovnik, Croatia;

Track 2:Functional Genomics

UtilitarianGenomicsuse incomprehensible abundance of information created bygenomic transcriptomictasks to portray quality capacities and cooperations. Patterns inFunctional Genomicsare Affymetrix developed as an early trend-setter around there by imagining a commonsense approach to examine quality capacity as a framework.

RelatedConferences: WorldCongressonHumanGeneticsOctober 31- November 02, 2016 Valencia, Spain; 4th InternationalConferenceonIntegrativeBiology, July 18-20, 2016, Berlin, Germany; InternationalConference onMolecularBiology, October 13-15, 2016 Dubai, UAE; InternationalConferenceonGeneticCounselingandGenomicMedicine August 11-12, 2016 Birmingham; 5th InternationalConferenceonCellandGeneTherapyMay 19-21, 2016 San Antonio, USA; InternationalSymposiumon RiceFunctionalGenomics, Sept 21-24, 2015, China;Ribosome structureand function 2016, 610 July 2016 | Strasbourg, France; 5thGeneticsand Genomics Conference, June 1-3, 2016, Nanjing, China; Chromatin,Non-codingRNAsandRNAPIIRegulationinDevelopmentandDiseaseConference,29 March 2016, Austin, USA;Maintenance ofGenome Stability2016, March 7-10, 2016, Panama, Central America

Track 3:Next Generation Sequencing

Cutting edge sequencing(NGS) is regularly alluded to as greatly parallel sequencing, which implies that a large number of little parts ofDNAcan be sequenced in the meantime, making a gigantic pool of information. Cutting edge sequencing (NGS), hugely parallel or profound sequencing is connected terms that portray aDNA sequencinginnovation which has upsetgenomic research.

RelatedConferences: InternationalConference onNext Generation Sequencing, July 21-22, 2016 Berlin, Germany; 4th InternationalConference onIntegrative Biology, July 18-20, 2016, Berlin, Germany; 6th InternationalConferenceonGenomicsandPharmacogenomics, September 12-14, 2016 Berlin, Germany; InternationalConferenceonGeneticCounselingandGenomicMedicineAugust11-12,2016 Birmingham; InternationalConferenceonMolecular Biology, October 13-15, 2016 Dubai, UAE; 6thNext GenerationSequencingConference, May 25-26, 2016, Boston, USA;GeneticsinForensicsCongress, 14-15, March 2016, London, UK; ICHG 2016, April 3-7, 2016, Japan;GenomeEditingandGene ModulationCongress, 6-8 April, 2016, Oxford, UK; 4th InternationalConferenceonBioinformaticsand Computational Biology, February 2-3, 2016, Kuala Lumpur, Malaysia

Track 4:Biomarkers & Molecular Markers

Biomarkerscan be trademark organic properties or particles that can be distinguished and measured in parts of the body such as the blood or tissue.Biomarkerscan be particular cells, atoms, or qualities, quality items, chemicals, orhormones.Atomicmarkeris a section of DNA that is connected with a specific area inside of thegenome. Atomic markers are utilized as a part of sub-atomic science andbiotechnologyto distinguish a specific grouping of DNA in a pool of obscure DNA.

RelatedConferences: InternationalConferenceonMolecularandCancerBiomarkersSeptember 15-17, 2016 Berlin, Germany; 4th InternationalConference onIntegrative Biology, July 18-20, 2016 Berlin; 7th InternationalConferenceonBiomarkersandClinicalResearch, November 28-30, 2016 Baltimore, USA; InternationalConferenceonBiochemistryOctober 13-15, 2016 Kuala Lumpur, Malaysia; InternationalConference onProteinEngineering, October 26-28, 2015 Chicago, USA;BiomarkerSummit, 2123 March 2016, San Diego, United States; 18th InternationalConference on Biomarkers andClinical Medicine, 16-17 May, 2016, Paris, France;Circulating Biomarkers World Congress2016, 21-22 March, 2016, Boston, USA;The Biomarker Conference, 18 - 19 February 2016, San Diego, USA;CancerMolecular Markers, 7-9, March 2016, San Francisco, USA

Track: 5Pharmacogenomics & Personalized Medicine

Pharmacogenomicsis a piece of a field called customized solution that means to tweak human services, with choices and medications custom-made to every individual patient inside and out conceivable.Pharmacogenomicsandpharmacogenomicsmanages new developments in the field of customized meds and advancements in modified medication revelation utilizingproteomeinnovation.

RelatedConferences: 5th InternationalConferenceonMetabolomics, May 16-18, 2016 Osaka, International Conference onGeneticCounselingandGenomicMedicineAugust 11-12, 2016 Birmingham; Japan; 5th InternationalConferenceonTissueScienceandRegenerativeMedicine September 12-14, 2016 Berlin, Germany; InternationalConferenceonRestorativeMedicine October 24-26, 2016 Chicago, USA; InternationalConferenceonMolecularGenetics, November 28-30, 2016 Chicago, USA; Golden Helix Symposium, January 14-16, 2016, Mansoura, Egypt;ThePersonalized Medicine, World Conference 24-27 January, 2016, San Francisco, USA; 14thAsia-PacificFederationforClinicalBiochemistryand LaboratoryMedicineCongress, November 26-29, 2016,Taipei, Taiwan;Personalized Medicine, July 10-15, 2016, Hong Kong, China; 18th InternationalConferenceonPharmaceuticalEngineeringandPharmacogenetics, March 30 - 31, 2016, Istanbul, Turkey

Track 6:Clinical Genomics

Clinical Genomicsis the utilization of genome sequencing to educate understanding analysis and care.Genome sequencingis relied upon to have the most effect in: portraying and diagnosinghereditary infection; stratifying patients for fittingmalignancytreatment; and giving data around an individual'simaginable reactionto treatment to lessen antagonistic medication responses.

RelatedConferences: ThePersonalized Medicine, World Conference24-27 January, 2016, San Francisco, USA; InternationalConferenceonClinicalandMolecularGenetics, November 28-30, 2016 Chicago, USA; 5th InternationalConferenceandExhibitiononMetabolomics, May 16-18, 2016 Osaka, Japan; InternationalConference onRestorativeMedicine October 24-26, 2016 Chicago, USA; 5th InternationalConferenceonTissue ScienceandRegenerativeMedicineSeptember 12-14, 2016 Berlin, Germany;AmericanCollege ofMedicalGeneticsandGenomics(ACMG)Annual Clinical Genetics Meeting, March 8-12, 2016, Tampa, USA; BelgianSocietyofHumanGeneticsandDutchSocietyforHumanGeneticsJoint Meeting 2016 (NVHG BESHG 2016), February 4-5, 2016, Leuven, Belgium; An International theAssociation ofBiomolecularResourceFacilities, February 20-23, 2016, Florida, USA; 14th Asia-PacificFederation forClinicalBiochemistryandLaboratoryMedicineCongress, November 26-29, 2016,Taipei, Taiwan;Personalized Medicine, July 10-15, 2016, Hong Kong, China

Track 7:Micro RNA

MicroRNAscomprise a novel class of small, non-coding endogenous RNAs that regulategene expressionby directing their targetmRNAsfor degradation or translational repression. miRNAs represent smallRNA moleculesencoded in thegenomesofplantsand animals. These highly conserved 22 nucleotides longRNA sequencesregulate the expression of genes by binding to the 3'-untranslated regions (3'-UTR) of specific mRNAs. A growing body of evidence shows that mRNAs are one of the key players in cell differentiation and growth, mobility andapoptosis.

RelatedConferences: InternationalConferenceonClinicalandMolecularGenetics, November 28-30, 2016 Chicago, USA; InternationalConferenceonNextGenerationSequencingJuly 21-22, 2016 Berlin, Germany; 7th InternationalConferenceandExpoonProteomicsOctober 24-26, 2016 Rome, Italy; InternationalConferenceonStructuralBiologyJune 23-24, 2016 New Orleans, USA; InternationalConference onTranscriptomicsAugust 18-20, 2016 Portland, Oregon USA; InternationalConferenceonMolecular BiologyOctober 13-15, 2016 Dubai, UAE; 18th InternationalConferenceon ExtracellularBiomarkers, 22 23 April, 2016, London, United Kingdom; The 21st Annual Meeting of the RNA Society, June 28-June 2, 2016, Kyoto, Japan;NoncodingRNAsinHealthandDisease, February 21-24, 2016, New Mexico, USA;Small RNASilencing: Little Guides, Big Biology, January 24-28, 2016, Colorado, USA;MicroRNAas Biomarkers and Diagnostics, Positive-Strand RNAViruses, May 1-5, 2016, Texas, USA

Track 8:mRNA Analysis

mRNAis a subtype of RNA. AmRNAatom conveys a segment of the DNA code to different parts of the cell for preparing.mRNAis made amid interpretation. Amid the translation handle, a solitary strand ofDNAis decoded by RNA polymerase, and mRNA is incorporated. Physically, mRNA is a strand of nucleotides known asribonucleiccorrosive, and is single-stranded.

RelatedConferences: InternationalConferenceonClinicalandMolecularGenetics, November 28-30, 2016 Chicago, USA; InternationalConferenceonNextGenerationSequencingJuly 21-22, 2016 Berlin, Germany; 7th InternationalConferenceandExpoonProteomicsOctober 24-26, 2016 Rome, Italy; InternationalConferenceonStructuralBiologyJune 23-24, 2016 New Orleans, USA; InternationalConference onTranscriptomicsAugust 18-20, 2016 Portland, Oregon USA; InternationalConferenceonMolecular BiologyOctober 13-15, 2016 Dubai, UAE; FromCellBiologytoPathology, January 24-27, 2016, New Mexico, USA; Complex Life of mRNA, 58 October 2016, Heidelberg, Germany;Genome Editingand Gene ModulationCongress2016, 6-8 Apr 2016, Oxford, United Kingdom;NGS2015 Sheffield Conference, 18-19 November, 2015, Sheffield, USA;QuantitativemethodsinGeneRegulation-III, 7-8 December, 2015, Cambridge, UK

Track9:BioinformaticsinGenomics

Bioinformaticsis the exploration of gathering and breaking down complex organic information, for example,hereditary codes. Sub-atomic solution requires the joining and examination of genomic, sub-atomic, cell, and additionallyclinical informationand it in this way offers a momentous arrangement of difficulties to bioinformatics.

RelatedConferences: 5th InternationalConferenceonComputationalSystemsBiologyAugust 22-23, 2016 Philadelphia, USA; 6th InternationalConferenceonBioinformaticsMarch 29-30, 2016 Valencia, Spain; 7th InternationalConferenceonBioinformaticsOctober 27-28, 2016 Chicago, USA; 2nd InternationalConference onTranscriptomics August 18-20, 2016 Portland, Oregon USA; InternationalConferenceonNext GenerationSequencingJuly 21-22, 2016 Berlin, Germany; The FourteenthAsia PacificBioinformaticsConference, 11th-13 January 2016, San Francisco, USA; 18th InternationalConferenceonBioinformatics andBiotechnology, 19 20 May 2016, Berlin, Germany; IEEEconference onComputationalIntelligenceinBioinformaticsandComputationalBiology, October 5-7, 2016, Chiang Mai, Thailand; 7th InternationalConferenceonBioinformaticsModels,MethodsandAlgorithms, 21- 23 Feb, 2016, Rome, Italy;Bio banking2016, 57 January 2016, London, United Kingdom

Track 10:Comparative Genomics

SimilarGenomicsandgenomicmedicinenewfieldofnaturalexaminationinwhichthegenomegroupins of variousspecies- human, mouse and a wide assortment of different life forms from yeast to chimpanzees-are looked at. The assessment of likenesses and contrasts betweengenomesof various life forms; can uncover contrasts in the middle of people and species and also transformative connections.

RelatedConferences: WorldCongressonHumanGeneticsOctober 31- November 02, 2016 Valencia, Spain; 4th InternationalConferenceonIntegrativeBiology, July 18-20, 2016, Berlin, Germany; InternationalConference onMolecular Biology, October 13-15, 2016 Dubai, UAE; InternationalConferenceonGenetic Counseling andGenomicMedicineAugust 11-12, 2016 Birmingham; 5th InternationalConference onCellandGeneTherapyMay 19-21, 2016 San Antonio, USA; 20th Annual InternationalConferenceonComputationalMolecularBiology, April 17-21, 2016, Santa Monica, USA; 8th InternationalConferenceonBioinformaticsandComputationalBiology, April 4-6, 2016, Nevada, USA; Visualizingbiological data, 911 March 2016, Heidelberg, Germany; Chromatin andEpigenetics, March 20-24, 2016, British Columbia, Canada; Game ofEpigenetics,April 24-28, 2016 in Dubrovnik

Track 11:Plant Genomics

Late mechanical headways have generously extended our capacity to dissect and comprehendplantgenomesand to diminish the crevice existing in the middle of genotype and phenotype. The quick advancing field of genomics permits researchers to dissect a huge number of qualities in parallel, to comprehend the hereditary building design ofplant genomesfurthermore to separate the qualities in charge oftransformations.

RelatedConferences: InternationalConferenceonPlantPhysiologyJune 09-11, 2016 Dallas, USA ;GlobalSummit onPlant ScienceNovember 28-30, 2016 Baltimore, USA; 5th InternationalConferenceonAgricultureand HorticultureJune 27-29, 2016 Cape Town, South Africa ; 6th InternationalConferenceonGenomicsand PharmacogenomicsSeptember 22-24, 2016 Berlin, Germany; InternationalConferenceonGreen Energy& ExpoNovember 28-30, 2016 Baltimore, USA;PlantGenomes andBiotechnology: from genes to networks Dec ember 02-05, 2015 Berlin, Germany; Plant Genome Evolution 2015 September, 6 - 8 2015 Amsterdam, The Netherlands; The 3rdPlant GenomicsCongressSeptember 14-15,2015 Missouri, USA; ProkaGENOMICS EuropeanConferenceonProkaryoticandFungalGenomics29 September-2 October 2015 Gttingen, Germany; InternationalMeetingonBioinformaticsand OMICs October 27- 30,2015 Varadero, Cuba; The 2ndPlant GenomicsCongress: September 14-15, 2015 MO, USA; GETGlobal ConferenceSeptember17-19, 2015 Vienna, Austria

Track 12:Personal Genomics

Individualgenomicsis the branch of genomics worried with thesequencingand examination of the genome of a person. Thegenotypingstage utilizes diverse strategies, includingsingle-nucleotide polymorphism(SNP) examination chips or incomplete or fullgenome sequencing.

RelatedConferences: 4th InternationalConferenceonIntegrativeBiology, July 18-20, 2016, Berlin, Germany; 2nd InternationalConferenceonTranscriptomicsAugust 18-20, 2016 Portland, Oregon USA; InternationalConferenceonNextGenerationSequencingJuly 21-22, 2016 Berlin, Germany;WorldCongress onHumanGeneticsOctober 31- November 02, 2016 Valencia, Spain; 18th InternationalConference onHuman Genetics, February 25 - 26, 2016, London, United Kingdom;Visualizing biological data, 911 March 2016, Heidelberg, Germany; 1st Annual InternationalCongressofGenetics, April 25-28, Dalian, China;ChromatinandEpigenetics, March 20-24, 2016, British Columbia,Canada;GameofEpigenetics, April 24-28, 2016 in Dubrovnik

Track 13:Microbial Genomics

MicrobialGenomicsappliesrecombinantDNA,DNAsequencingroutines,andbioinformaticsto succession, gather, and dissect the capacity and structure of genomes in organisms. Amid the previous 10 years, genomics-based methodologies have profoundly affected the field ofmicrobiologyand our comprehension of microbial species. In view of their bigger genome sizes,genome sequencingendeavors on growths and unicellular eukaryotes were slower to begin than ventures concentrated on prokaryotes.

RelatedConferences: InternationalConferenceonMolecular BiologyOctober 13-15, 2016 Dubai, UAE; 4th InternationalConferenceonIntegrativeBiologyJuly 18-20, 2016 Berlin, Germany; InternationalConference onMicrobial Physiology and Genomics October 20-22, 2016 Rome, Italy; 4th InternationalConference onClinicalMicrobiologyandMicrobialGenomics October 05-07, 2015 Philadelphia, USA; 2ndWorld CongressandExpoonAppliedMicrobiologyOctober 31-November 02, 2016 Istanbul, Turkey; 18th InternationalConferenceonClinicalMicrobiologyandMicrobialGenomics, June 9 - 10, 2016, San Francisco, USA; 18th InternationalConferenceonMicrobialGenomeResources, February 11 - 12, 2016, Kuala Lumpur, Malaysia; 18th InternationalConferenceonMicrobialGenomeResourcesand Clinical Microbiology, January 12 - 13, 2016, Zurich, Switzerland; 18th InternationalConference onMolecular Geneticsand Microbiology, February 25 - 26, 2016, London, United Kingdom

Track 14:Future trends in Genomics

Genomics researchholds the way to meeting a considerable lot of the difficulties of the coming years. Right now, the greatest test is in information investigation. We can produce a lot of information modestly, yet that overpowers our ability to comprehend it. The significant test of theGenomeResearch is we have to imbuegenomic datainto restorative practice, which is truly hard.

RelatedConferences: InternationalConferenceonClinical and Molecular Genetics, November 28-30, 2016 Chicago, USA; 2nd InternationalConferenceonTranscriptomicsAugust 18-20, 2016 Portland, Oregon USA;International ConferenceonNextGenerationSequencingJuly 21-22, 2016 Berlin, Germany; The FourteenthAsia PacificBioinformaticsConference, 11th-13 January 2016, San Francisco, USA;WorldCongress onHumanGeneticsOctober 31- November 02, 2016 Valencia, Spain; 18th InternationalConference onGeneticsand Genomics, June 9 - 10, 2016, San Francisco, USA; NGS 16Genome Annotation, April 4 6, 2016, Barcelona, Spain; Maintenance of Genome Stability 2016, March 7-10, 2016, Panama, Central America;Epigenomics: new marks, new horizons, December 2015, 2 December 2015, UK;Human GenomeMeeting, 28 February 2 March 2016, Houston, USA

Track15:GenomicMedicine GenomicMedicineas "a developing restorative train that includes utilizinggenomicdataaround a person as a major aspect of their clinical consideration (e.g., for demonstrative or remedial choice making) and the wellbeing results and strategy ramifications of that clinical use." Already,genomic medicationis having an effect in the fields ofoncology,pharmacology, uncommon and undiscovered maladies, and irresistible illness.

RelatedConferences: InternationalConferenceonMolecularandCancerBiomarkersSeptember 15-17, 2016 Berlin, Germany; 4th InternationalConferenceonIntegrativeBiology, July 18-20, 2016 Berlin; 7th InternationalConferenceonBiomarkers & Clinical Research, November 28-30, 2016 Baltimore, USA; InternationalConferenceonBiochemistryOctober 13-15, 2016 Kuala Lumpur, Malaysia; InternationalConference onProtein Engineering, October 26-28, 2015 Chicago, USA;BiomarkerSummit, 2123 March 2016, San Diego, United States; 18th InternationalConferenceonBiomarkersandClinicalMedicine, 16-17 May, 2016, Paris, France; Circulating Biomarkers World Congress 2016, 21-22 March, 2016, Boston, USA; The Biomarker Conference, 18 - 19 February 2016, San Diego, USA; CancerMolecular Markers, 7-9, March 2016, San Francisco, USA

Track 16:Genomics Market

Genomicsis the study of thegenetic materialor genomes of an organism. Analysts forecast theGlobal Genomicsmarketwill grow at a CAGR of 11.21% over the period 2013-2018. According to the report, the most important driver of the market is an increase in the demand for consumables. The growing adoption ofgenetictestingfor various applications, especially in regions such as the APAC, and an increase ingenetictestingvolumes in North America and Western Europe is increasing the demand for consumables.

RelatedConferences: 5th InternationalConferenceonComputationalSystemsBiologyAugust 22-23, 2016 Philadelphia, USA; 6th InternationalConferenceonBioinformaticsMarch 29-30, 2016 Valencia, Spain; 7th InternationalConference onBioinformaticsOctober 27-28, 2016 Chicago, USA; 2nd InternationalConference onTranscriptomicsAugust 18-20, 2016 Portland, Oregon USA; InternationalConferenceonNext GenerationSequencingJuly 21-22, 2016 Berlin, Germany; The FourteenthAsia PacificBioinformaticsConference, 11th-13 January 2016, San Francisco, USA; 18th InternationalConference on Bioinformatics andBiotechnology, 19 20 May 2016, Berlin, Germany; IEEEconference onBioinformaticsandComputationalBiology, October 5-7, 2016, Chiang Mai, Thailand; 7th InternationalConferenceonBioinformaticsModels, MethodsandAlgorithms, 21- 23 Feb, 2016, Rome, Italy;Bio banking2016, 57 January 2016, London, United Kingdom.

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Worlds Leading Genomics Conference | Global Meetings ...

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Top Ron Paul aide learns fate for 2012 campaign violations …

Posted: at 7:42 pm

n this Dec. 29, 2011 file photo, then-Republican presidential candidate, Rep. Ron Paul, R-Texas, listens as campaign chairman Jesse Benton has a word with him as he signs autographs in Atlantic, Iowa.

Charles Dharapak, AP

DES MOINES-- The chairman of Ron Pauls 2012 presidential bid was sentenced Tuesday to probation and home confinement rather than prison, and two other top aides were awaiting their sentences for a scheme to cover up campaign payments to a former Iowa state senator who agreed to endorse their boss.

Although prosecutors were seeking more than two years in federal prison, Jesse Benton was sentenced to two years probation and six months of home confinement, along with community service and a $10,000 fine. He was convicted of conspiracy, causing false campaign contribution reports to be filed to the Federal Election Commission and participating in a false statement scheme.

Judge James Jarvey called the crimes serious and said Benton took advantage of the system designed to ensure transparency in how campaigns are financed.

Theres nothing like prison time to deter white collar activity, Jarvey said, before announcing that he thought the lesser punishment was enough of a deterrent in Bentons case.

Prior to the sentencing announcement, Benton told the judge he had endured years of sleepless nights and public humiliation. He said his career is ruined and that he was forced to place his home on the market after going into debt.

A steep price has been paid, he said.

Benton and his attorney declined to comment as they left the courthouse.

The campaigns manager, John Tate, and deputy manager Dimitri Kesari also were convicted. Tate was also scheduled to be sentenced on Tuesday. Kesaris sentencing is set for Wednesday morning.

The men have argued they broke no laws when they paid a video production company, which passed on $73,000 to former state Sen. Kent Sorenson. He dropped support for Michele Bachmann and endorsed Paul six days before the 2012 Iowa caucuses.

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Venture capitalist Peter Thiel tells Morley Safer why he's given more than $2.5 million to Libertarian congressman and presidential candidate Ron...

Prosecutors said it is illegal to cause a campaign to file inaccurate spending documents.

The men said they were targeted because of their conservative politics and argued campaigns typically dont identify payments to subcontractors of vendors.

They are expected to appeal their convictions to the 8th U.S. Circuit Court of Appeals. If the judges rule against the men, they may choose to seek further review of the U.S. Supreme Court.

The three men faced up to 35 years in prison had the judge handed down maximums to be served consecutively.

Benton, 38, of Louisville, Kentucky, is married to Ron Pauls granddaughter, Valori Pyeatt. He also had managed the successful 2010 U.S. Senate campaign for Pauls son, Rand Paul, in Kentucky and served as campaign manager for Sen. Mitch McConnells 2014 re-election, but resigned that summer as the investigation intensified in Iowa.

Speaking before the men were sentenced, an Iowa political consultant said the case is a stark reminder to anyone in the early presidential contest states including Iowa, New Hampshire and South Carolina that theyll be intensely watched and they should follow the rules carefully.

What you might get away with doing in a local state legislative campaigns can get you in really deep serious trouble on a presidential campaign if its exposed, said Craig Robinson, who served on Steve Forbes presidential campaign in 2000, was state GOP director in 2008 and is publisher of the conservative The Iowa Republican blog.

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Top Ron Paul aide learns fate for 2012 campaign violations ...

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