Results 151 to 160 of about 9,459 (178)
A double‐sided mechanical interlocking strategy is developed to create robust electrical contact between polymer electrode and metal interconnect. The fibrous structure enables formation of thread–hole adhesion, which only breaks under bulk failure and achieves a record high interfacial energy exceeding 730 J·m−2. This adhesion secures the integrity of
Gang Li +6 more
wiley +1 more source
Synthetic Contrast-Free LGE via Diffusion-Based Framework in Acute MI for Image Quality and Quantitative Scar Analysis. [PDF]
Qi J +11 more
europepmc +1 more source
'It's quite difficult to put Autistic relationships in a box': A qualitative exploration of romantic relationships in gender and sexually diverse Autistic adults. [PDF]
Ciric T +4 more
europepmc +1 more source
Water treatment chemical supply chain disruption risk assessment and mitigation strategy ranking using BWM-VIKOR. [PDF]
Tang W, Zhou W, Manansala LD, Hasan MK.
europepmc +1 more source
Computational magnetic metasurfaces in the low radiofrequency regime. [PDF]
Dellabate A, Monorchio A, Brizi D.
europepmc +1 more source
MVIB-Lip: Multi-View Information Bottleneck for Visual Speech Recognition via Time Series Modeling. [PDF]
Li Y, Sun H, Cai J, Wu J.
europepmc +1 more source
De-novo promoters emerge more readily from random DNA than from genomic DNA
Fuqua T, Wagner A.
europepmc +1 more source
Some of the next articles are maybe not open access.
European Taxation, 2021
In October 2020, the Greek Independent Authority for Public Revenue published a new decision, Decision A. 1226/2020, amending the guidelines for the conduct of the mutual agreement procedure (MAP) under tax treaties. The amendments were necessary in view of certain recent changes in the domestic legislation affecting MAPs under tax treaties, as well as
exaly +2 more sources
In October 2020, the Greek Independent Authority for Public Revenue published a new decision, Decision A. 1226/2020, amending the guidelines for the conduct of the mutual agreement procedure (MAP) under tax treaties. The amendments were necessary in view of certain recent changes in the domestic legislation affecting MAPs under tax treaties, as well as
exaly +2 more sources

