Ads
related to: 3rd law breaching tools
Search results
Results From The WOW.Com Content Network
Controlled Impact Rescue Tool, or CIRT, is a concrete breaching tool produced by Raytheon, that is capable of providing Urban Search & Rescue (USAR) teams with the ability to penetrate a reinforced concrete wall up to four times faster than traditional methods.
A U.S. Marine performs a ballistic breach of a padlocked door using a combat shotgun. Door breaching is a process used by military, police, or emergency services to force open closed or locked doors. A wide range of methods are available depending on the door's opening direction (inward or outward), construction materials, etc., and one or more ...
The third-party doctrine is a United States legal doctrine that holds that people who voluntarily give information to third parties—such as banks, phone companies, internet service providers (ISPs), and e-mail servers—have "no reasonable expectation of privacy" in that information.
Although damages are the usual remedy for the breach of a contract for the benefit of a third party, if damages are inadequate, specific performance may be granted (Beswick v. Beswick [1968] AC 59). The issue of third-party beneficiaries has appeared in cases where a stevedore has claimed it is covered under the exclusion clauses in a bill of ...
Engblom v. Carey, 677 F.2d 957 (2d Cir. 1982), is a landmark decision by the United States Court of Appeals for the Second Circuit interpreting the Third Amendment to the United States Constitution for the first time.
The Masterkey is a door breaching shotgun system manufactured by Knight's Armament Company. The Masterkey project was initiated during the 1980s to provide assault rifles with a potent built-in door breaching tool. Individual soldiers were often forced to carry a breaching shotgun in addition to their standard-issue rifle, but the Masterkey ...
For premium support please call: 800-290-4726 more ways to reach us
Inducing a breach of contract was a tort of accessory liability, and an intention to cause a breach of contract was a necessary and sufficient requirement for liability; a person had to know that he was inducing a breach of contract and to intend to do so; that a conscious decision not to inquire into the existence of a fact could be treated as ...