task_id stringlengths 37 37 | task_name stringlengths 6 83 | world_id stringclasses 33
values | domain stringclasses 3
values | prompt stringlengths 127 2.05k | task_input_files stringlengths 37 37 ⌀ | expected_output stringclasses 7
values | gold_response stringlengths 4 7.16k | gold_response_type stringclasses 2
values | rubric listlengths 1 10 |
|---|---|---|---|---|---|---|---|---|---|
task_5ed3c6dd4464400282ec21096513bf00 | World132_DA_Task08 | world_d5110661c46c42a6bb952e6f6bd89967 | Management Consulting | PureLife needs a validated UK market potential calculation for its vitamins and dietary supplements business.
The current approach relies only on consumer behaviour metrics and overlooks the UK market’s documented growth trajectory. Using PwC’s research report shows the market is expanding faster than historical tren... | null | message_in_console | The 2025 UK New Market Potential is $281.18. | text | [
{
"verifier_id": "ver_181ccdba803d4b9ba46422941f75ff96",
"criteria": "States the 2025 UK New Market Potential is $281.18"
}
] |
task_3d664fce59f541528e5e9b7cef207774 | World132_SF_Task04 | world_d5110661c46c42a6bb952e6f6bd89967 | Management Consulting | Using the consumer perception data and pricing details from the buyer profile, determine how many survey respondents in each market have never heard of PureLife and are willing to pay more than a 30% premium above average price for trusted brands. Give it as both a count and as a percentage by market. In which of the t... | null | message_in_console | The counts and percentages by market are:
Brazil: 3 survey respondents have never heard of PureLife and are willing to pay more than a 30% premium above average price for trusted brands (7.500%).
Eastern Europe: 5 survey respondents have never heard of PureLife and are willing to pay more than a 30% premium above avera... | text | [
{
"verifier_id": "ver_21b9e3d98da64e7f95d6cd0d16ae6ee1",
"criteria": "States that the number of survey respondents in Brazil that have never heard of PureLife and are willing to pay more than a 30% premium above average price for trusted brands is 3"
},
{
"verifier_id": "ver_88f54f55adf44b6da75d218a... |
task_127b196179484cc69b96394d74956db0 | World434_IG_03 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | Harborview has contemplated a new spinoff transaction as outlined in the attached memorandum prepared by the CLO. Review the memorandum and explain whether Alex Morgan will be subject to reporting requirements under 31 U.S.C. § 5336. You can reply right here with a short message please. | snap_3e73f945e9214bd18b0bd995b673f4b6 | message_in_console | Alex Morgan should be reported as a beneficial owner, pursuant to 31 U.S.C. § 5336. | text | [
{
"verifier_id": "ver_66890e84de554a24a9f9a055a0c7b44a",
"criteria": "States that Alex Morgan should be reported as a beneficial owner"
}
] |
task_d1aff11dbf4e4d16a79401ce07b1f15c | World434_AH_01 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | We had a US fire safety audit performed on one of the buildings we're going to acquire in HK, with a rated occupancy of 150 persons, and it passed on all counts. Exit signage was different from US signage but very clear, there were at least 2 exits totaling 2400mm, and regular lighting in the exit routes was at 25 lux,... | null | message_in_console | The exit route lighting finding contravenes Clause B5.5 of the Code of Practice for Fire Safety in Buildings 2011 (2024 Edition), pursuant to which the exit route requires lighting of a horizontal illuminance at floor level of not less than 30 lux. | text | [
{
"verifier_id": "ver_133c2984699547f59497066f1a652a6e",
"criteria": "States Clause B5.5 of the Code of Practice for Fire Safety in Buildings 2011 (2024 Edition) is contravened"
},
{
"verifier_id": "ver_3b14673f0df14b799d45c9e6ea7542ac",
"criteria": "States exit route requires lighting of a hori... |
task_3e2c326f5470427f9ac0f627c72da1d6 | World434_IG_02 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | One of the Hong Kong facilities is going to overhaul its fire safety after they found that some of the equipment from the supplier produced faulty sprinklers. This same supplier produced essentially all of the equipment that can't be used. The facility needs 50 fire doors to be installed by code. Most doors are very ex... | snap_f75b8a1b8a7a4002ae53ebcbe84e6735 | message_in_console | The AegisCore door cannot be sourced for the Hong Kong facilities because the product specification states they are "[a]vailable for purchase and delivery in Europe, the United States, Australia, Canada, and New Zealand."
The SentinelGuard doors do not comply with Hong Kong fire safety regulation because they do not ... | text | [
{
"verifier_id": "ver_6fa510b6e619457bad9ba382ee1513ff",
"criteria": "States the AegisCore door cannot be sourced for the Hong Kong facilities"
},
{
"verifier_id": "ver_b4981ef66df34eb98765ddc2df499541",
"criteria": "States the SentinelGuard does cannot be sourced for the Hong Kong facilities"
... |
task_6790bd5747ca479b810c4e33bf423c02 | World434_DPM_02 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | As of January 1, 2025, SecureBox Self Storage has not made any changes to the Emergency Exit Signage and Lighting. If the FSD inspection report is considered a fire safety direction, what is the maximum potential fine that Securebox Self Storage might receive under Hong Kong law?
Reply to me here in a short message, ... | null | message_in_console | Subject: Maximum Potential Fine – SecureBox Tsuen Wan Fire Safety Non-Compliance
Following up on your earlier request for information on the potential penalty exposure for the SecureBox Tsuen Wan facility's failure to remediate the Emergency Exit Signage and Lighting deficiency, I have reviewed the FSD Inspection Repo... | text | [
{
"verifier_id": "ver_ee445f6d34a34d55a45b4f2af0430899",
"criteria": "States that the applicable law is the Fire Safety (Buildings) Ordinance (Cap. 572)"
},
{
"verifier_id": "ver_b73dd611d9284b788f035f6f37523c79",
"criteria": "States that the penalty for failing to comply with a fire safety dire... |
task_173fa342dcb244929dc2e7c4dad12a2b | World434_IG_01 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | We had a number of compliance memoranda drafted regarding our ongoing acquisition of the storage facility companies. For the third memo listed in the compendium, do we have to comply with all the laws that are discussed for our acquisition of Secure Box? If at least some laws apply, state which ones do. Write your repl... | null | message_in_console | The acquisition of Secure Box, a Hong Kong entity, must comply with some but not all of the laws identified in the third memoranda titled "Regulatory, Corporate, and Transactional Compliance Requirements for Foreign Investment and M&A in the PRC."
The Hong Kong laws which must be complied with are:
- Hong Kong law - C... | text | [
{
"verifier_id": "ver_cfcc8109f0af4d23b1a17e71935e35df",
"criteria": "States that not all laws discussed in the third memo need to be complied with in the acquisition of Secure Box"
},
{
"verifier_id": "ver_7e657268c6fa4f0fa0d8238e96e57e4a",
"criteria": "States that the acquisition must comply w... |
task_7b0900ec821f4aafa9d1d1f02fa5c330 | World434_JS_04 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | Harbor View Storage Fund I, L.P. (the "Purchaser") has entered into a Share Purchase Agreement (SPA) with the Sellers for the purchase of Securebox Storage Holdings Limited (the "Company"). After the SPA is executed the Company's largest customer leaves. The Purchaser finds out that the Sellers knew that the customer w... | null | message_in_console | The Sellers will have to indemnify the Purchaser under the SecureBox Share Purchase Agreement for the HK$3,125,000 claim from the lost customer.
Although section 8.04(c) de minimus claim restriction prevents the HK$150,000 claim from being recovered, the section notes that the HK$150,000 claim can be included in the ... | text | [
{
"verifier_id": "ver_675a1934bda54b0fb76136d2616eb935",
"criteria": "States that the HK$150,000 settlement amount cannot be claimed"
},
{
"verifier_id": "ver_e7f9fc7c22a2469eb6095c6b75bc00cf",
"criteria": "States that the HK$150,000 claim can be included in the determination of the minimum bask... |
task_85f48fa8ecc04d9eb5a56a6e95aa3a88 | World434_DPM_01 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | Review the URA Land Search Report, based on the relevant provision of the Planning Act, what is the potential maximum financial penalty regarding TOP/2018/04576 as of January 1, 2025? Assume that the sentence "[i]f the facility has been operating as self-storage since 2020 without proper approval, the cumulative exposu... | null | message_in_console | Subject: Potential Maximum Penalty – Jurong East Facility (TOP/2018/04576)
In response to your question regarding the potential penalty exposure for the Jurong East facility, I have reviewed the URA Land Search Report and the relevant provisions of the Planning Act.
Under Section 12(4)(a) of the Planning Act, the pen... | text | [
{
"verifier_id": "ver_bab6a60772a74c6fabfc5a7f48f113fe",
"criteria": "States that the penalty on conviction is a fine not exceeding S$200,000"
},
{
"verifier_id": "ver_b75c9ac07f8d4849b749dbd236535d78",
"criteria": "States that after conviction, a further fine not exceeding $10,000 applies for e... |
task_593aadcfe36c46c5840f837fe4b554b9 | World434_JS_02 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | Harbor View Storage Fund I, L.P. (the "Purchaser") has purchased Secure Box Storage Holdings Limited (the "Company") from the Sellers pursuant to an executed Share Purchase Agreement (SPA).
After the sale is finalized, the Company faces several lawsuits by upset customers (the "Complainants") and ultimately settles e... | null | message_in_console | SecureBox is not required to indemnify Harbor View under the executed version of the Share Purchased Agreement (SPA) because each claim for breach of the litigation warranty is for HK$150,000, and the SPA does not require SecureBox to indemnify Harbor View for claims that arise from breaches of the litigation warranty ... | text | [
{
"verifier_id": "ver_c9a55dde28f548768fb8c4af65af1b56",
"criteria": "States that the Seller is not required to indemnify the Purchaser under the Share Purchase Agreement"
},
{
"verifier_id": "ver_3ee88736461449899458dcc39dde1297",
"criteria": "States that each claim for breach of the litigation... |
task_bcea61e250194df59ff2eaf59c5b1320 | World434_AH_05 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | Determine the current Capital Account for Pacific Pension Fund in HarborView Fund I, LP. The following financial events have occurred since inception of the Fund (unless otherwise stated, assume Gross Asset Value is identical to adjusted cost basis):
- aggregate Profit of $10,000,000 in 2024
- aggregate Loss of $10,000... | null | message_in_console | The current Capital Account for Pacific Pension Fund is US$300,000,000. | text | [
{
"verifier_id": "ver_f6ba42dc176b41aa8f7b660e22d76fc4",
"criteria": "States the current Capital Account for Pacific Pension Fund is US$300,000,000"
}
] |
task_45c2f4ca9ee742c5ac9ca281d4bc5195 | World434_JS_01 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | Harborview Capital Partners, L.P. ("Harborview") has decided to lease one of the Singapore properties it acquired. The property is 14,000 square feet and is going to be used to sell bicycles and has several administrative offices. Harborview is entering into a 2-year commercial lease agreement with the lessee. Harborvi... | null | message_in_console | Harbor View Capital Partners, L.P. cannot require the lessee to carry S$3.5 million in public liability insurance.
The Code of Conduct applies to qualifying leases, defined as leases exceeding one year for premises used primarily for the retail sale of goods; here, the lease has a two-year term and the premises are us... | text | [
{
"verifier_id": "ver_607003d28e3b4c1cba4f9d841c735690",
"criteria": "States that Harbor View Capital Partners, L.P. cannot require the lessee to carry S$3.5 million in public liability insurance"
},
{
"verifier_id": "ver_7628f67565994759bf242e69e873da04",
"criteria": "States that the lease is a... |
task_27a6c866aa224da5aeefc17533019924 | World434-TK-01 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | Post-closing, the Fire Department issued a fine for pre-completion non-compliance at one of the facilities, and the buyer paid the fine to avoid operational disruption.
Take a look at the Secure Box SPA indemnity structure. Can we recover that amount from the seller under the specific indemnity, or is there a Hong Ko... | null | message_in_console | The indemnity works as drafted under Hong Kong law.
Under Hong Kong law, there is no public-policy prohibition on private parties allocating the economic burden between themselves via contract. The seller is not indemnifying the regulator; it is reimbursing the buyer for a loss suffered as a result of a breach that t... | text | [
{
"verifier_id": "ver_3deaf229d13e4091ac96057c9b37ec76",
"criteria": "States that under Hong Kong law, there is no public-policy prohibition on indemnification between private parties"
},
{
"verifier_id": "ver_1e0782ae74094eb3811e3a2d2a2cda14",
"criteria": "States that the SPA directs the seller... |
task_26154d4439a6460cac78dfe83a6bfb1f | World434_AH_03 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | One of the Singapore properties we're acquiring (classified PG III) has an exit staircase that services the 1 level underground parking lot, located immediately under the exit staircase that services the above ground floors. The staircases are not continuous and are separated. The audit confirmed that exit distances in... | null | message_in_console | The auditor's recommendation is incorrect. The fire-rated enclosure for the basement exit staircase is not required. | text | [
{
"verifier_id": "ver_dfce6d3626bf4db6844a2ddf4927af56",
"criteria": "States the auditor's recommendation is incorrect"
},
{
"verifier_id": "ver_e95d068b523e4f4a967df41f96601843",
"criteria": "States a fire-rated enclosure for the basement exit staircase is not required"
}
] |
task_5ee798d029884a06bb17787179206c7a | World434_AH_04 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | We had an intern prepare a list of what needed to be done after closing and they made a mess of it.
We've already established the holding company, reviewed insurance policies, and completed a compliance & safety audit. Several of the other items noted need to be completed pre-closing. Identify each such item from the ... | null | message_in_console | The following items from the pre-closing check-list should be completed prior to closing:
- "upgrade or purchase robust property-insurance, general liability, fire & hazard insurance, business interruption, environmental liability coverage, hazardous-materials coverage (if feasible), third-party liability”: although up... | text | [
{
"verifier_id": "ver_5b450f8f79d64d4e9535c81343d0a90a",
"criteria": "States any part of the following item from the pre-closing check-list needs to be completed prior to closing: \"upgrade or purchase robust property-insurance, general liability, fire & hazard insurance, business interruption, environmenta... |
task_981f4f72a55c4e7598b6f23f3e576e54 | Law_World_434_sg_01 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | HarborView requires all customer documents to be sent to their offices in the Cayman Islands headquarters, including information of Hong Kong customers. We’ve also already sent them documents as part of our due diligence – please see the transaction/deal documents on file.
Can you please draft a brief memo (just a few... | snap_201de359df1741068e9feb82d4323db6 | message_in_console | RE: Data Privacy and SecureBox Customer Information
The central question of this memorandum is whether consent is required to transfer information that SecureBox obtained from Hong Kong customers to HarborView’s offices in the Cayman Islands and, if so, whether SecureBox or HarborView is obligated to erase any or all ... | text | [
{
"verifier_id": "ver_f585f6c5d652444481e33b21bf31e823",
"criteria": "States that customer consent is not required to disclose the personal information of Hong Kong customers for the purpose of a due diligence exercise"
},
{
"verifier_id": "ver_f3c15e8da85d400d90823258e8a3934f",
"criteria": "Sta... |
task_c31f5ccdfdd948ac8142f47890aec9e1 | World434_JS_03 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | During acquisition diligence, Apex Storage Asia Pte. Ltd. (the "Landlord") notifies of a claim it has just received from a tenant. The Landlord has a lease for part of one of its Singapore properties (the "Premises") with We Love Bicycles, Inc. (the "Tenant"). The Premises consists of three floors. The Tenant has a fo... | null | message_in_console | The Tenant will be entitled to terminate because the Landlord committed a repudiatory breach of the lease agreement, including breach of the implied term that the premises be capable of lawful use. | text | [
{
"verifier_id": "ver_fc5ab7e6bfcb4271a35c244cf413c91c",
"criteria": "States there is an implied term of lawful use in the lease"
},
{
"verifier_id": "ver_6502799cccd049979d55fbc132d99982",
"criteria": "States that the Landlord committed a repudiatory breach of the lease agreement"
},
{
... |
task_8c0bbdb42c96492eaa39ab908a8d1292 | World434_AH_02 | world_ac4631be289645f2ae7db48b1bd442d0 | Law | I just found out that INTERNATIONAL CORPORATION SERVICES LTD. (ICS) acts as registered agent for our largest competitor. Considering that ICS has all our financial and other info, this is a serious breach of trust and they need to be terminated ASAP for this violation.
How fast can I make this happen? Reply here. | null | message_in_console | ICS can be terminated upon 3 months notice. | text | [
{
"verifier_id": "ver_60100bead69e4b6dabec771c125a9af9",
"criteria": "States that ICS can be terminated upon 3 months notice"
}
] |
task_a28da7dd7f41448d8c6ced3a2a62debe | World 133 GE Task 3 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | We need additional analysis for 2025 cost per activated member (CPAM) under 3 scenarios. I want you to edit the PnL workstream draft deck with this new information you'll calculate--> the 2025 CPAM ($ per activated member) for As reported, Profitable acquisition, and Industry normalized.
Use the loyalty marketing mem... | null | edit_existing_slide_deck | snap_0b0c13392ade46bda869de7059dcc80a | file | [
{
"verifier_id": "ver_0c6bee75bfe747e095171d5fac29dfe4",
"criteria": "States the 2025 CPAM for As reported is $512.00"
},
{
"verifier_id": "ver_8681fee422d747a394f3df1b2f01388f",
"criteria": "States the 2025 CPAM for Profitable acquisition is $113.99"
},
{
"verifier_id": "ver_a6dea6334c7... |
task_701665df7879439b9b723ab716e1b630 | World 133 EL Task 02 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Using only 2024 values from IHG's annual report, tell me:
1. Calculate the room-weighted average occupancy rate for IHG across all of its hotel brands, globally.
2. Using regional occupancy rates and ADRs by brand, calculate IHG's global room-weighted average RevPAR.
3. Calculate IHG's room-weighted average RevPAR as a... | null | message_in_console | IHG's 2024 weighted average occupancy rate across all of its brands, globally, is 67.8%.
Its 2024 weighted average global RevPAR is $87.2, which is 96.5% of the global industry average RevPAR. | text | [
{
"verifier_id": "ver_13bc5e26b5bb4b14af1de8a957aad0f5",
"criteria": "States that IHG's 2024 weighted average occupancy rate, across all of its brands globally, is 67.8%"
},
{
"verifier_id": "ver_34ce56e7f1ff4643aa91570f3743883f",
"criteria": "States that IHG's 2024 weighted average RevPAR, acro... |
task_effa0ae896284b07984dd5cc7151e10f | World 133 - NK Task #1 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | What are the projected 2026 aggregate free night bookings for Marriott, Hilton, and Hyatt in New York, London, and Tokyo combined?
Assume all of Summit's 2026P free night certificate redemptions from the PNL (in thousands) are projected to be exclusively in either New York, London, or Tokyo. What would Summit's expect... | snap_7d0e62dd38f64bf9b42f0375c5db0f34 | message_in_console | Combined 2026 free nights for Marriott, Hilton and Hyatt customers in New York, London, and Tokyo: 203,000.0
Summit 2026 RMS - New York: 37.5%
Summit 2026 RMS - London: 33.3%
Summit 2026 RMS - Tokyo: 46.9% | text | [
{
"verifier_id": "ver_88f906bd8a6c4978b2841ff8ba80dd77",
"criteria": "States the combined 2026 free nights in NYC, London, and Tokyo for Marriott, Hilton, and Hyatt is 203,000.0"
},
{
"verifier_id": "ver_b602b3cd038f4e23aa94b1777690f013",
"criteria": "States Summit's 2026 RMS in New York is 37.5... |
task_40c59502fc744e85a83bf87dfe8977da | World133_ln_04 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Give me the scores for Summit’s segments, using the Summit-Specific Survey. Your scoring system must follow these rules:
- For the average satisfaction with status benefits from the file “14. Summit_Tier_Status_Experience_Raw_vtest.xlsx”, grant 1 point if it is greater than 2, grant 1 point if it has had no status lo... | null | make_new_slide_deck | snap_660b612a798c462aba49d63516bb7629 | file | [
{
"verifier_id": "ver_3f087688bd4e494cae7f199b0e19bcde",
"criteria": "States the Business segment score is 3.5"
},
{
"verifier_id": "ver_1268d721bb874b1fa2b8410e1a087452",
"criteria": "States the Family segment score is 5.5"
},
{
"verifier_id": "ver_1968f0232a9a469dba74ed41af152cf7",
... |
task_2c27b6c0f390410aa6f561e1733faf6a | Task 3uy1546e | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Determine which years have the highest and lowest average stay lengths for Bronze Tier members. For each of those years, report the average stay length for Bronze Tier members who stayed at a Summit Express property, segmented by whether they used a co-branded credit card or not. Use the latest merged member profile da... | null | message_in_console | The year with the highest average stay length for Bronze Tier members is 2022, and the year with the lowest average stay length is 2025. For Bronze Tier members who stayed at a Summit Express property, the average stay lengths segmented by credit card co-branding are as follows:
## Highest Average Stay Year (2022):
- ... | text | [
{
"verifier_id": "ver_e31c90f204b7409b9176718d016686e9",
"criteria": "States that the year with the highest average stay length for Bronze Tier members is 2022"
},
{
"verifier_id": "ver_1f48658294994d558d47993877e7aef7",
"criteria": "States that the year with the lowest average stay length for B... |
task_8d7835ee0dce4b92b89ebe15540be78c | World133_RG_01 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Can you use the Summit's business case and provide the revised sum of net cash flow ($m) for scenarios 1, 2, and 3? Apply the scenario-specific benefits multipliers provided in the attached file to adjust the annual benefits relative to the base case, while keeping all costs unchanged.
Can you make sure to round your ... | snap_66d40e4a2d1a48bf8381b47648a87447 | message_in_console | The revised sum of net cash flow ($m) is as follows:
*Scenario 1*: 805.00
*Scenario 2*: 641.50
*Scenario 3*: 423.50 | text | [
{
"verifier_id": "ver_ddb1bfd27d1e435fb9706e2abd5e2c0c",
"criteria": "States the revised sum of net cash flow for Scenario 1 is $805.00m"
},
{
"verifier_id": "ver_f957051de14d4ddf994b9946287a8e26",
"criteria": "States the revised sum of net cash flow for Scenario 2 is $641.50m"
},
{
"ver... |
task_757aca3744044e13a8b323fe623e83ca | World 133 EL Task 05 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Using 'Accor Presentation.pdf', 'Hilton Annual Report.pdf', 'Hyatt 10K.pdf', 'IHG Investor Presentation.pdf', and 'Marriott-2024-Annual-Report.pdf':
1. Calculate, for each of Summit's key competitors, the total number of available room nights in 2024.
2. Calculate the standard deviation of available room nights for Su... | null | message_in_console | In 2024, the available room nights are as follows:
- Accor had 311.2 million room nights
- Hilton had 464.2 million room nights
- Hyatt had 127.1 million room nights
- IHG had 370.0 million room nights
- Marriott had 624.5 million room nights
The standard deviation of available room nights in 2024, for these 5 competi... | text | [
{
"verifier_id": "ver_e049ee641f6d485e9b443958612b8857",
"criteria": "States that Accor's available room nights in 2024 is 311.2 million"
},
{
"verifier_id": "ver_58814f75d2b84faa80647878f1264ba7",
"criteria": "States that Hilton's available room nights in 2024 is 464.2 million"
},
{
"ve... |
task_15322a4e4ca744fb9bf7a9b8cace8a99 | world133_ln_03 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Determine CAGR for total points sold over the entire covered time period from the Profit and Loss Master Profitability Workbook.
Apply that growth rate to average points per member from the Member Points Summary (Balance & Expiry) Sheet to project points per member (PPM) per year, 2 years out. Assume the average in thi... | snap_d5dd0f9b37cb418782d339f6cb8e349a | make_new_sheet | snap_5ac3b12ebc8341feb0c830986b8b8c30 | file | [
{
"verifier_id": "ver_82b9b07160ef4408b0ee65eb92eabaa5",
"criteria": "States base year average PPM is 10,346.98"
},
{
"verifier_id": "ver_cfbb9537644b40c485c50c6ee649bca1",
"criteria": "States CAGR of total points sold over the entire time period is 3.01%"
},
{
"verifier_id": "ver_12fb33... |
task_8f47fc64814943c2a782a2b8704a3ba3 | Task unc2be9c - EM | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Was the data Ecan provided during the meeting (noted in the team sync-up from 11/21/25) on the number of members that have stayed during Q3 2025 correct? Use our data from the 11/17 stay and booking data to assess it.
Report here if Ecan provided the correct data or not. If not, give the correct value. | null | message_in_console | The data Ecan provided was incorrect. The correct number of members that have stayed in calendar Q3 2025 is 76. | text | [
{
"verifier_id": "ver_4335e42b7925448d80f8321608bbb81b",
"criteria": "States that the data provided by Ecan is incorrect"
},
{
"verifier_id": "ver_6d5971241a1e41e195b15045040285f4",
"criteria": "States that the number of member stays in Q3 2025 is 76"
}
] |
task_d01a20f9321341b39059a7629a365232 | World 133 EL Task 03 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Estimate the contribution (in $M) that Summit's loyalty program members will make to its 2025E Program EBITDA in $ millions.
Assume that Summit's loyalty program members will contribute, as a % of 2025E Program EBITDA, an amount equal to the member-weighted average % of stays by members in the most recent financial ye... | null | message_in_console | Summit's loyalty program members will contribute an estimated $170.7M to its 2025E Program EBITDA. | text | [
{
"verifier_id": "ver_1c73185d35554032a63524ada73af2df",
"criteria": "States that the estimated contribution made to 2025E Program EBITDA by Summit's loyalty members is $170.7M"
}
] |
task_b95db15ad91d4883b23e79d1c1573eb1 | World133_ln_05 | world_d6c01a12c619445f8a9dda1973432337 | Management Consulting | Prepare a new memo, and put it a new document file you make. I will be sending it to James Brown, CEO of Summit, on behalf of The Strategy Team.
It should outline the total cost of labor for each phase of Summit’s turnaround effort based on the operational gantt RACI. Effort is calculated using 20 workdays per month a... | null | make_new_doc | snap_0def0591aa1f4839a8ff833570ea0216 | file | [
{
"verifier_id": "ver_3c055c0672ff483dbec273746f344173",
"criteria": "States the total cost of labor for phase 1 is 3200 hours"
},
{
"verifier_id": "ver_62991791e6dc450f81857fe9e13ff44e",
"criteria": "States the total cost of labor for phase 2 is 2080 hours"
},
{
"verifier_id": "ver_b9fc... |
task_912055978b48483696be01adf161ec3b | World433_JS_06 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | We are conducting a compliance review of Magnolia Gardens' General Resident Agreement. We are currently determining whether the General Resident Agreement is in compliance with Kentucky Law. Please Review the General Resident Agreement and determine if it is in compliance with Kentucky Revised Statutes (KRS) section 19... | null | message_in_console | Under Kentucky Revised Statutes (KRS) section 194A.713(7) the lease agreement must include a minimum thirty day notice provision for a change in the community's fee structure. The General Resident Agreement does not contain the required minimum thirty day notice provision for a change in the community's fee structure. ... | text | [
{
"verifier_id": "ver_ad0e86edd4fb47d29eca07cd18d44638",
"criteria": "States that under Kentucky Revised Statues (KRS) section 194A.713(7) the lease agreement must include a minimum thirty-day notice provision for a change in the community's fee structure"
},
{
"verifier_id": "ver_a480e7bcfdd8421390... |
task_be78a90e872547eea75915f95ca35739 | World433_JS_01 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Magnolia Gardens has a contract with the Texas Department of Human Services (DHS) to provide services, as an assisted living facility, to DHS clients. Gregory Johns--a disabled DHS client who is in a wheelchair, epileptic, and blind--has recently been admitted to Magnolia Gardens and has been charged a small pet deposi... | null | message_in_console | Yes, Magnolia Gardens is in compliance with Chapter 276 of Title 26 the Texas Administrative Code as to the pet deposit because Magnolia can charge a pet deposit for pets that are not service animals. | text | [
{
"verifier_id": "ver_e6fc5901410a48f7a8d0321376da1657",
"criteria": "States Yes, Magnolia Gardens is in compliance with Chapter 276 of Title 26 the Texas Administrative Code as to the pet deposit"
},
{
"verifier_id": "ver_2ceee52125bd41839c45df6caa6535c1",
"criteria": "States that Gregory Johns... |
task_b5481555a1c94da6bf78baf87165851c | World433_MMF01 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Can you please draft a short legal memorandum analyzing whether the eggshell skull rule applies with respect to the plaintiffs' claims against us in the wrongful death complaint? Please also conclude on the extent of Grove Garden Living's liability in your analysis and note the relevant facts. Create a new docx file wi... | snap_7f0c17c69b9a48379e3f86d27e817022 | make_new_doc | snap_fc98fec22bf540ad8a4ff2030ef9ec3f | file | [
{
"verifier_id": "ver_3e3e5f8fc89e47088967b5454418e09d",
"criteria": "States that Tom Buchanan's diabetic condition was any of the following: (1) not stable and (2) characterized by unpredictable, severe blood glucose fluctuations"
},
{
"verifier_id": "ver_b1a4ab05cb50457f95d3ca08fd9e4c56",
"cri... |
task_de1ec76029b54126ae1105921e4202d4 | LawWorld433_ANB_01 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Susan Whitaker has filed three successive Complaints against Magnolia Gardens. The first is the original Complaint, the second Is the First Amended Complaint, and the third is the Second Amended Complaint. Each Complaint was served on the defendant ten days after they were filed. Magnolia Gardens wants to file a Motion... | snap_5593117d18f94eea85ea62d469d76a78 | message_in_console | According to Texas Rule of Civil Procedure 91a.3, a motion to dismiss must be filed within 60 days of service of the first pleading containing the challenged cause of action. Here, Magnolia Gardens is challenging the breach of contract allegation. Because this allegation was first raised in the original Complaint, and ... | text | [
{
"verifier_id": "ver_98e1bc3a57fc4df48ccbfc3d5edfb18e",
"criteria": "States the last date the Motion to Dismiss can be filed is August 6, 2025"
},
{
"verifier_id": "ver_6eda714d11214d2db4e5166df0d04db5",
"criteria": "States the breach of contract allegation was first raised in the original comp... |
task_f40a571a80e944cead66ecf1d3f0de93 | World433_SG_01 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Grove Garden Living ("Grove Garden") is going to be filing a motion for summary judgment for the Wrongful Death claim in the complaint that was filed by Daisy Buchanon (the "Plaintiff") against Grove Garden Living. In support of its motion Grove Garden has submitted an affidavit by Dr. Elara Anderson that is consistent... | null | message_in_console | Yes. The motion for summary judgment will likely be granted because Sarah Lee's deposition testimony does not create a genuine issue of material fact as to whether Grove Garden Living's substandard care was the proximate cause of Tom Buchanon's death.
| text | [
{
"verifier_id": "ver_085ddcdd5db24747a692827bb5629212",
"criteria": "States Yes, the motion for summary judgment will likely be granted"
},
{
"verifier_id": "ver_f2daab0fad09418db962f23863e6e27c",
"criteria": "States that Sarah Lee's deposition testimony does not create a genuine issue of mater... |
task_1d7f4e0be1274b069ad86be4ed813c46 | Law 433_AC_02 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Please review Grove’s 2023 and 2025 operations manuals. Let me know if there are any changes in the 2025 manual that may present issues for Grove’s regulatory compliance. For any regulatory issues identified, tell me what changed in the 2025 manual and why it presents an issue. Reply back just with one or two sentences... | snap_1900946830fa47819d851affa4573208 | message_in_console | This summary outlines the differences between the Grove Operations Manuals of 2023 and 2025 and explains how changes in the 2025 manual could lead to regulatory compliance issues.
1. Resident Rights and Dignity: The 2023 manual stated that all residents are entitled to respect, privacy, and autonomy. The 2025 manual ... | text | [
{
"verifier_id": "ver_2a47eedcb40f440285e6b4e0faf1df8c",
"criteria": "States that the Resident Rights and Dignity section was removed from the 2025 manual"
},
{
"verifier_id": "ver_ea2f44d0665747c481361b450311661e",
"criteria": "States that the 2025 manual may violate the regulatory requirement ... |
task_b15e945697824a9ab869c8e9a402f5c1 | LawWorld433_ANB_02 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Jennifer Love was the nurse assigned to Mr. Buchanan's floor, and was later designated as the corporate designee of Magnolia Gardens Inc during depositions. She is called by Magnolia Gardens Inc., to testify in the wrongful death case against Magnolia Gardens Inc. Can Jennifer testify as to statements made by Tom Bucha... | snap_cb61ab6ba81a402f8574953ed0dbcbca | message_in_console | No. Jennifer Love cannot testify about statements allegedly made by Tom Buchanan, who is now deceased. Under New York’s Dead Man’s Act § 6.02.1, an interested party, or a person testifying on behalf of an interested party, may not offer testimony concerning communications with a deceased individual. Because Magnolia Ga... | text | [
{
"verifier_id": "ver_0a45febf46d44bb2832883569677c085",
"criteria": "States No, Jennifer Love cannot testify regarding statements made by Tom Buchanan"
},
{
"verifier_id": "ver_5fb9d56918e34c509dc89616e959e3a6",
"criteria": "States that the Dead Man's Act statute precludes a person testifying o... |
task_828f11b8209f4b53bdf1e836762363d8 | World433_JS_05 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | We are doing a compliance review to ensure that the General Resident Agreement Template complies with all applicable State laws and regulations.
Please review the General Resident Agreement Template and determine if it complies with Kentucky Revised Statutes 194A.713(14). Provide an answer right here in a short parag... | null | message_in_console | Kentucky Revised Statute (KRS) Section 194A.713(14) requires that the lease agreement contain [g]rievance policies that minimally address issues related to confidentiality of complaints and the process for resolving grievances between the resident and the assisted living community. The General Resident Agreement Templa... | text | [
{
"verifier_id": "ver_30ee5b88fac54076835521915a989531",
"criteria": "States that the lease agreement must contain grievance policies that minimally address issues related to confidentiality of complaints under Kentucky Revised Statute (KRS) section 194A.713(14)"
},
{
"verifier_id": "ver_347a20397d2... |
task_3caff6fe3a9f4a9f95e57f371a16b601 | LawWorld433_ANB_05 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Sarah Lee was deposed in the case brought by Plaintiff, Daisy Buchanan. Plaintiff intends to call Ms. Lee to testify at trial. Identify which statements in paragraph 8 of her deposition transcript are objectionable based on the New York Rule of Evidence 10.03.
Respond with one paragraph, write it out to me here | snap_96ee56f42e9c4e15989b0ade0a31eec3 | message_in_console | Under paragraph 8 of Ms. Lee’s testimony she stated, "The BGL was recorded by the external EMT team as being extremely high, exceeding the limits of the monitor."
Defense counsel can seek to exclude this testimony under the Best Evidence Rule (10.03) because the source of this information is a writing and the writing... | text | [
{
"verifier_id": "ver_c57fa4bc56544cdeab4bd5e635d2413a",
"criteria": "States that Ms. Lee's statement \"The BGL was recorded by the external EMT team as being extremely high, exceeding the limits of the monitor,\" is objectionable under the best evidence rule"
}
] |
task_a2a4615b0b46416c905729e49595c686 | World433_JS_03 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Magnolia Gardens provides resident John Marshall with three meals. They are planned out two and a half weeks in advance, as well as two snacks each day.
Is Magnolia Gardens in compliance with Part 487 of the New York Codes Rules and Regulations? Give me a clear answer back in here, and concisely explain your reasonin... | null | message_in_console | No, Magnolia Gardens is not in compliance with Part 487 of the New York Codes Rules and Regulations because it does not plan menus at least three weeks in advance. | text | [
{
"verifier_id": "ver_11290cec212941fd9cfa17c7c01000e8",
"criteria": "States No, Magnolia Gardens is not in compliance with Part 487 of the New York Codes Rules and Regulations"
},
{
"verifier_id": "ver_4dd6d17a8510458189147f674bc8b1f6",
"criteria": "States that Part 487 of the New York Codes Ru... |
task_1d28a1ef3e8c44eeac211afdad56ccca | World433_JS_08 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | We are in the process of doing compliance checks on the Magnolia Gardens General Resident Agreement Template. We are currently examining whether the General Resident Agreement Template is in compliance with California Law. Determine whether the General Resident Agreement Template complies with California Code of Regula... | null | message_in_console | California Code of Regulations Title 22, Division 6, Chapter 8, section 87507(g)(3)(H) requires admission agreements to contain a provision indicating that an itemized monthly statement that lists all separate charges incurred by the resident that are collected by the facility shall be provided to the resident or the r... | text | [
{
"verifier_id": "ver_4dde260e939e40a0842788f572068e8e",
"criteria": "States that California Code of Regulations Title 22, Division 6, Chapter 8, section 87507(g)(3)(H) requires admission agreements to contain \"a provision indicating that an itemized monthly statement that lists all separate charges incurr... |
task_680f8581e29f4aefb3a9bc2a8f77bbb0 | World433_MMF_02 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Review Dr. Anderson's expert report and analyze whether (1) her opinions as to cause of death are admissible and (2) whether you believe there is a greater than an 80% chance of surviving a summary judgment motion on a crumbling skull rule affirmative defense to the complaint if her report is admitted. The case will be... | null | make_new_doc | snap_5dc5e9df7fa44d1a90f6027f9e5e5168 | file | [
{
"verifier_id": "ver_0bc9a895849f468fb9f80e94cb99a595",
"criteria": "States that Dr Anderson claims that Mr. Buchanan's death was triggered by an unknown event rather than a missed insulin dose"
},
{
"verifier_id": "ver_cc7b051bc09440c5aa2b3e26b5b581c5",
"criteria": "States that Dr Anderson cla... |
task_ea50530a09d5440996d0328aa3fbaa70 | LawWorld433_ANB_04 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Magnolia Gardens is looking to renew its 2025 coverage through Valiant Assurance Ltd. for 2026, in Texas. Valiant has asked for a list including the number of patients they serve that utilize Medicaid. Does Magnolia Gardens have to provide this information?
State your view as a Yes or No, with a two-sentence explanat... | snap_741e270c17584737a0038b9d821ac2a4 | make_new_doc | snap_3bbb2e5b6401497cb33a35c3162fbc77 | file | [
{
"verifier_id": "ver_2a5541ba0d324ed2b62407f3655e8e6c",
"criteria": "States that for purposes of writing professional liability insurance for healthcare providers, an insurance company may not consider the extent to which a health care provider provides services to individuals who are recipients of Medicai... |
task_fe1efa5d3aaa43469f135b53fe02b6a2 | World433_JS_04 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Magnolia Gardens has Adult Care Home facilities in North Carolina. One of the North Carolina Adult Care Home facilities has 25 residents. It has a 400-square-foot enclosed indoor recreational area in the center of the single building facility.
Does the recreational area comply with Title 10A, Subchapter 13F, Section ... | null | message_in_console | The recreational area does not comply with North Carolina Law because recreational areas must have windows under Title 10A, Chapter 13F, Section .0305 of the North Carolina Administrative Code (10A NCAC 13F .0305). | text | [
{
"verifier_id": "ver_33d13140e75643a0ae7615d61d174c26",
"criteria": "States that Title 10A, Chapter 13F, section .0305 of the North Carolina Administrative Code provides that recreational areas must have windows with views to the outside"
},
{
"verifier_id": "ver_7ba4bbf25dc44137a2250fe6113fc9fe",
... |
task_729286e684134595958f962e72f2aa20 | World433_JS_07 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | We are conducting a compliance review of Magnolia Gardens' General Resident Agreement. We are currently determining whether the General Resident Agreement is in compliance with Kentucky Law. Please review the General Resident Agreement and determine if it is in compliance with Kentucky Revised Statutes (KRS) section 19... | null | message_in_console | Under Kentucky Revised Statutes (KRS) section 194A.713(8) a lease agreement shall include a minimum thirty (30) day move-out notice provision for resident nonpayment. The General Resident Agreement includes a provision that requires the facility to provide a minimum of thirty (30) days notice for discharge due to non-p... | text | [
{
"verifier_id": "ver_cc71f30377654f0399c92e36a6782556",
"criteria": "States that under Kentucky Revised Statutes (KRS) section 194A.713(8) a lease agreement shall include a minimum thirty (30) day move-out notice provision for resident nonpayment"
},
{
"verifier_id": "ver_a23a5ec594094a1895b9e10f54... |
task_e72676c169294461adff044bee6a5587 | LawWorld433_ANB_03 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Does 15A NCAC 18A .1600 apply to food service in Magnolia Gardens' North Carolina facilities? Create a new documents document and respond in there. | snap_b91167f79daa467db0a3d63573c338a1 | make_new_doc | snap_c8012fbe6b4843a583377fa468238fce | file | [
{
"verifier_id": "ver_fafc5bdb8d804bd39600ac45f506ba06",
"criteria": "States No, 15A NCAC 18A .1600 does not apply to Magnolia Gardens' North Carolina facilities"
},
{
"verifier_id": "ver_d153c7f93f644e768f3b534b5098bcf2",
"criteria": "States that 15A NCAC 18A .1600 does not apply to an adult ca... |
task_4fa914d8cc0f4010bb661d3e688a4c61 | LawWorld433_NAF_01 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Heather Collins has started to let her care staff all take naps at the same time. Legally, can she do this? Provide me with a brief explanation of your answer, citing the relevant sources. Reply back to me with your view in here. | null | message_in_console | No, Heather Collins cannot legally allow her care staff to all take naps at the same time. Heather Collins is the "Lead Caregiver - PM Shift" according to the organization chart (see the "Grove_Austin_OrgChart.docx" document), thus she manages the night shift staff at the Grove-Austin faciliity. Given that the Grove-Au... | text | [
{
"verifier_id": "ver_82ac41baafc94662a43e9b527b6f9504",
"criteria": "States that Heather Collins cannot legally allow her care staff to all take naps at the same time"
},
{
"verifier_id": "ver_cce71e25c59e4fe1b89c69d4f7e0b82a",
"criteria": "States any of the following as the relevant law: (1) t... |
task_ccee33f3839a412f91ea0821a487a26b | LawWorld433_NAF_02 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | The attorney for Thomas Whitaker wants to submit this matter for arbitration in Texas. Reply to me in here, drafting an output explaining whether that would be consistent with Mr. Stoker's Litigation Plan and the Residency Agreement for Thomas Whitaker. | null | message_in_console | Pursuing arbitration with the Whitakers is consistent with Mr. Stoker's Litigation Plan.
However, participating in arbitration in Texas is not consistent with the Residency Agreement, which requires mandatory arbitration in Los Angeles, California. | text | [
{
"verifier_id": "ver_5187e9bb6f8140e0bcff0b03e2d662bb",
"criteria": "States that going to arbitration with the Whitakers is consistent with Mr. Stoker's Litigation Plan"
},
{
"verifier_id": "ver_fabcdf869e064815b6011b2938f6e517",
"criteria": "States that the Residency Agreement requires mandato... |
task_908f411c435d4ebf8fcfc4a08e7dce5b | Law433_mk-01 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | We have received a claim from Thomas Whitaker’s counsel asserting that Magnolia breached its obligations by failing to provide weekly communication to Mr. Whitaker's family. Provide the strongest argument that Magnolia has no contractual obligation to provide weekly care updates, and the family's strongest counterargum... | null | message_in_console | Magnolia's strongest argument is that the "Entire Agreement" clause states that the Residency Agreement constitutes the entire agreement between the parties, and that Magnolia is not bound by any statements not expressly set forth in the Residency Agreement. Since there is no specific clause in the Residency Agreement... | text | [
{
"verifier_id": "ver_33fa6ffbdd6d4cc586141ce223700baa",
"criteria": "States that Magnolia’s strongest argument is that the Residency Agreement’s Entire Agreement clause states that the written contract constitutes the parties’ entire agreement"
},
{
"verifier_id": "ver_6de9d1ec33e148e6b027cff389b50... |
task_3742720383624ce58ef4d751f8836392 | Law433_mk_02 | world_06051b9b10c94c079db1bac3b70c4c4b | Law | Can you edit the existing Grove Residency Agreement for Thomas Whitaker to make a revised residency agreement template that we can use for new residents.
Please also update/add to the last sentence of the paragraph J in section IV of the agreement based on the 2025 Grove internal operations manual. Thanks. | null | edit_existing_doc | snap_0c0bdf65c6054ad3b30df9e778e97d3e | file | [
{
"verifier_id": "ver_0f7ec8fe16ef4f8d90cfc84054dc4389",
"criteria": "Removes any reference to \"Thomas Whitaker\""
},
{
"verifier_id": "ver_0fe28f2bc48545c1aab4df37dd0173e4",
"criteria": "Removes any reference to \"Unit Number 111\""
},
{
"verifier_id": "ver_a663f55aecc449c2a48dc9299a01... |
task_a7c1daf7049b46ada402eada03ad7865 | Task jhp9ccb4 | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | A real-time Rapid Response Content (RRC) update is automatically delivered and it causes performance degradation in a customer’s environment. The customer did not stage deployments, had no rollback plan, and used the system in a critical operational setting.
Can you review the board memo, along with Crowdstrike's stan... | null | message_in_console | CrowdStrike bears the Rapid Response Content (RRC) risk for the contract "CrowdStrike MSA.pdf" (i.e. the standard MSA) because this contract does not expressly allocate interruption/degradation risk from RRC updates to the customer, and there are no provisions regarding content deployment (e.g. no staged rollout, QA ga... | text | [
{
"verifier_id": "ver_5980d6d683da488aa8471e4696576140",
"criteria": "States that CrowdStrike bears the RRC risk under one of the following: \"CrowdStrike MSA.pdf\"; \"CrowdStrike MSA.docx\"; and the standard MSA"
},
{
"verifier_id": "ver_8522d1116bfd4792af6a3895488f15b5",
"criteria": "States th... |
task_5b434b51e4de4ad398fa8d9f59321b6e | World 415-CD-02 | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | Review the following: the statement dated July 19, 2024 from George Kurtz, the Form 8-K from Crowdstrike dated July 19, 2024 and Rule 10b-5. Based solely on these documents, identify any statements made by Kurtz that are clearly and unequivocally misleading under Rule 10b-5. For any problematic statement(s), identify t... | null | message_in_console | Nothing in Kurtz's statement materially contradicts the disclosure provided in the Form 8-K. Accordingly, based on the information provided, Kurtz's statement is not misleading under Rule 10b-5. | text | [
{
"verifier_id": "ver_9d05b67db0a8424f96dea8be7b52ee21",
"criteria": "States that nothing in Kurtz's statement materially contradicts the disclosure provided in the Form 8-K"
},
{
"verifier_id": "ver_5506b92e672f476cac27aa1e8ac995fa",
"criteria": "States Kurtz statement is not misleading under R... |
task_729336fef1614d1a91692ac2bb442bd5 | World415_im_02 | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | Review only the following:
CrowdStrike Form 8-K 2024.pdf
Form 8-K Standard.pdf
DELTA AIR LINES, INC. 8-K.pdf
Today, August 9, 2024, we discovered that the Falcon sensor outage may have been caused by a cyberattack. Our cybersecurity firm is processing the data and has advised they will have a conclusive determination ... | snap_00dde884a2814afba9617602218c8692 | message_in_console | Crowdstrike should file a Form 8-K with the SEC. The Company should disclose the incident under Item 8.01 "Other Events" of Form 8-K. CrowdStrike should file the Form 8-K by August 15, 2024 | text | [
{
"verifier_id": "ver_da72332a7b2844419069ebb69d616b22",
"criteria": "States that CrowdStrike should file a Form 8-K"
},
{
"verifier_id": "ver_b6e7e2db5cf24459a55c935476e139b1",
"criteria": "States that CrowdStrike should file the Form 8-K by August 15, 2024"
},
{
"verifier_id": "ver_128... |
task_5c14b248c88842b1a3442152671cbb18 | Task acg14a6c | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | Can you review Sections 8.4, 9.1, 9.3,10.1,14.7 in our MSA, against the below outage scenario?
A faulty update causes endpoint failures. The customer sends a breach notice by email to a support inbox, seeks lost revenue and lost data costs and asserts that CrowdStrike must indemnify all losses. For each of the clause... | null | make_new_doc | snap_77ec584fff7e4a1fb85f0c731dfe6f10 | file | [
{
"verifier_id": "ver_2228f1fe72c74988bd248f20f73c869f",
"criteria": "States that section 8.4 of the MSA does not protect CrowdStrike from their own mistakes"
},
{
"verifier_id": "ver_22ec392c69164b918ead8ddc5514d641",
"criteria": "States that Section 10.1 of the MSA limits liability for all of ... |
task_7952b3923473458ab7c415da7be74810 | world415_aeu_01 | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | We want to get ahead of preparing a settlement agreement for the Delta matter. Can you let me know which of Delta’s original causes of actions are no longer live as we head into the pre-trial conference in March? You can ignore the derivative claims, though I would like to know if punitive fees are likely to apply and ... | null | message_in_console | 1. Delta's Causes of Action
Based on Delta’s complaint (“Delta-v-CrowdStrike-Complaint-10-25-24.pdf”), Delta pleaded seven causes of action under the Official Code of Georgia Annotated (OCGA) in its complaint (see Counts I through VII) and further asserted two derivative claims (see Counts VIII (Attorney's Fees) and IX... | text | [
{
"verifier_id": "ver_0b128fd88ad84fef9f3f92585d4fd797",
"criteria": "States any of the following is one of Delta's original causes of action that is no longer live: (1) strict liability for a defective product and (2) Count V from Delta's complaint; "
},
{
"verifier_id": "ver_b4f6b8ea65a64cef8d2d7d... |
task_107a64a2aeb8439fb41c5e16d25a5326 | Task yhzc9d1a | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | CrowdStrike sent the attached list of historic stock transactions (note the document lists transactions for both Class A and B stocks).
We need to determine if any of these people would be a part of the class in the Plymouth County lawsuit, assuming no opt-outs. Look for the class requirements and the attached list o... | snap_428b7c2bd48646bbb67412080afcfd3d | make_new_sheet | snap_ef4df1a60421482abff72e365550eebf | file | [
{
"verifier_id": "ver_bbf062ca5dd543f787313b186dd92996",
"criteria": "States that Michael Lawson made a Class A Stock Purchase on 11/30/2023"
},
{
"verifier_id": "ver_7346012153864c71bb076b085a41bb1d",
"criteria": "States that Larry Stone made a Class A Stock Purchase on 4/3/2024"
},
{
"... |
task_b952b8a8034a4affaaca6d3be7a2d8f7 | Task 5vd1ebb0 | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | We've received the attached warranty claims for some of our products. Please review them. Then, edit the existing existing "product purchases" spreadsheet to show the maximum refund amount a customer could receive for each product purchased. | snap_6835ed96081844ffb058d2b5ad3fffc7 | edit_existing_sheet | snap_f7229e3d821444189539e0a3b86cc3d2 | file | [
{
"verifier_id": "ver_292bf6d3fa0944bbb3e4620dcb7f1fa9",
"criteria": "States Falcon Prevent's Max Refund Amount is $0.00"
},
{
"verifier_id": "ver_30a7e8a63fa64f718f960a2b89e601ae",
"criteria": "States Falcon Query's Max Refund Amount is $16,888.89"
},
{
"verifier_id": "ver_057634552b854... |
task_7fe79f6934f64f159f8a6c27901e3db8 | Task iv36a08a | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | Analyze whether Counts 1-7 of Delta's Complaint against CrowdStrike fall within the limitation of liability clause in Section 10.1 of CrowdStrike's standard MSA, indicating "Covered" or "Not Covered" for each count. Reply back to me here with your assessments. | snap_07e69b4ea213482da66691d7104ba6b0 | message_in_console | ## Assessments of Counts 1-7
Count 1 - Not Covered
Count 2 - Not Covered
Count 3 - Not Covered
Count 4 - Not Covered
Count 5 - Covered
Count 6 - Not Covered
Count 7 - Not Covered | text | [
{
"verifier_id": "ver_3a3d40d5eb0544a88b485c21849582dd",
"criteria": "States that Count 1 is Not Covered"
},
{
"verifier_id": "ver_27d56f79890241a8a1b775bdea1ea77d",
"criteria": "States that Count 2 is Not Covered"
},
{
"verifier_id": "ver_681d2071ed754f78b9dbfa6e475d4d7c",
"criteria... |
task_3fa64829d31f43348113cc74f457b3ec | World415_DM_01 | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | MLT is a CrowdStrike customer severely affected by the outage. MLT filed a lawsuit for negligence seeking to recover damages arising from the outage. Additionally, MLT successfully transferred venue to Georgia. CrowdStrike is considering moving for summary judgment on the basis that the outage does not rise to the leve... | null | message_in_console | No, CrowdStrike is unlikely to succeed in its Motion because the determination of whether the degree of negligence amounts to gross negligence is typically a question of fact for a jury. As gross negligence cannot be waived by an exculpatory clause under Georgia law, the factual dispute over the degree of negligence pr... | text | [
{
"verifier_id": "ver_feabf6cdc18f4c07a56546c984caa07f",
"criteria": "States No, CrowdStrike is unlikely to succeed in its Motion"
},
{
"verifier_id": "ver_707cec4293c54b7cb0774bfed1a6a28e",
"criteria": "States that the determination of whether the degree of negligence amounts to gross negligenc... |
task_0cf6902f9ef341328e3261f7055918ee | Task awys8050 | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | CrowdStrike's general counsel sent us a complaint filed in U.S. district court by Larry Stone, alleging violations under Sections 10(b) and 20(a) of the Securities Exchange Act of 1934, as well as Rule 10b-5 arising from false statements or omissions regarding its Falcon Sensor, the update of which causing the widely-r... | snap_de0800e6f49a4c76b8697baf77714874 | make_new_doc | snap_d97717127def4e98828bab62739f01a8 | file | [
{
"verifier_id": "ver_33771b9ead634a2e9101941bffe97120",
"criteria": "States that Larry purchased 56 shares"
},
{
"verifier_id": "ver_25c3b981301c41c2af99019dcfd4fa18",
"criteria": "States that Larry purchased Class A shares"
},
{
"verifier_id": "ver_73e8d010bbd948cdbb8e47526473d515",
... |
task_4723cf79c09048f684a8a870bf96d187 | World415_im_01 | world_848bb733fcc544a3b9ef5b0ea7ab67ae | Law | An independent investigation of Crowdstrike's Channel File 291 outage revealed that the devices affected were mostly Microsoft or Google devices, and no Apple devices were affected at all. Is another filing with the SEC required at this time?
Please give me a yes/no with a clear explanation back here so I can underst... | null | message_in_console | Yes, CrowdStrike must file a corrective Form 8-K (Item 8.01 – Other Events).
It must clearly label that this new Form 8-K is a correction to the prior Form 8-K dated July 19, 2024 and disclose the outage's effect on Google devices.
Based on the Company’s current public disclosures around the “Channel File 291” Falc... | text | [
{
"verifier_id": "ver_0a7bc8864ccc491ba35de86113e276ba",
"criteria": "States that Yes, CrowdStrike must file a new Form 8-K with the SEC"
},
{
"verifier_id": "ver_fa54ec21041f466da33fc0ce49bf1c99",
"criteria": "States that CrowdStrike's current disclosures only disclose the impact of the Channel... |
task_8fb97fca07244d6f843a9a9328084b76 | World_418_APA_01 | world_aa672f35da64403f81004c0223f26a01 | Law | BlueAnchor wants to get the JV Agreement signed today. Can you send me back a message with a list of items that need to be added, changed, or removed to prepare a final execution version? Do not take into consideration the following: (1) lack of definition for any capitalized terms, (2) wrong cross references, and (3) ... | null | message_in_console | Here is a list of things to do in order to prepare a final execution version of the JV Agreement:
- Change Section 5 to Section 4
- Delete (e) from section 5.2 (Meetings of the Board) because it only has one paragraph
- Delete (c) from section 5.3 (Authority of the Board) because it only has one paragraph
- Change Sec... | text | [
{
"verifier_id": "ver_3e4484b7261d431f9fcf3bef68865b1d",
"criteria": "States that preparing the final JV Agreement requires changing \"Section 5\" to \"Section 4\""
},
{
"verifier_id": "ver_71ed651607574dc3888761829014e03b",
"criteria": "States that preparing the final JV Agreement requires remo... |
task_f1998108c25b4e448ec6cdce9f40321e | World418-Tk-03 | world_aa672f35da64403f81004c0223f26a01 | Law | BlueLNG sued Nakamura in the Southern District of New York based on the shipbuilding contract. Given that Nakamura has no office in the district, can BlueLNG seek Rule B attachment of a US$ wire transfer sent from Nakamura to Obun Corporation with Head Office in Manhattan and attachment of 15,000 Maersk shares owned by... | snap_0d84b49ad811413f8456eb78dc084131 | message_in_console | BlueLNG cannot obtain Rule B attachments for the wire transfer or the shares in the Southern District of New York. | text | [
{
"verifier_id": "ver_f8b31e5f98f243908a56564a3ebf591d",
"criteria": "States that BlueLNG cannot obtain Rule B attachments for the wire transfer"
},
{
"verifier_id": "ver_cb548d85c63546a1bd6f90459823c3ff",
"criteria": "States that BlueLNG cannot obtain Rule B attachments for the shares in the S... |
task_9509d6400e0c4e67a2222316744e7ded | World418_BA_01 | world_aa672f35da64403f81004c0223f26a01 | Law | Does any agreement between us and BlueAnchor create any non-disclosure obligations preventing our owner from publicly announcing the deal?
Write me a short reply back that I can review and send. | null | message_in_console | You can go ahead and publicly announce the deal. Below are more detailed explanations for your review.
- The Assignment Agreement includes a confidentiality clause covering the assignment of the Shipbuilding Contract.
- The Shipbuilding Contract includes a confidentiality clause protecting all technical information an... | text | [
{
"verifier_id": "ver_6ea6b45575cd488cb5fd735c262efc10",
"criteria": "States that the Assignment Agreement includes a confidentiality clause"
},
{
"verifier_id": "ver_9e9bcab91bad45438367696fd5bf8f54",
"criteria": "States that the scope of the Assignment Agreement's confidentiality clause is lim... |
task_8b6eb8654c134d039f9b9856fb4bd8ad | World418_mmf01 | world_aa672f35da64403f81004c0223f26a01 | Law | Prepare an outline of the legal analysis supporting a motion for partial summary judgment seeking dismissal of the claims brought by plaintiff Donald Smith against the JV, based on the facts alleged in Smith’s complaint. Also identify any materially incorrect factual assertions that affect the analysis. Write this out ... | snap_2a7c2d3df099469c99badee197283d19 | message_in_console | I reviewed the factual background and outlined the legal arguments for Blue LNG JV LLC in response to Donald Smith's complaint for employment discrimination. My conclusions are below.
I. REVIEW OF FACTUAL BACKGROUND
There are no incorrectly stated facts from the complaint that materially impact the legal analysis.
Th... | text | [
{
"verifier_id": "ver_84b2fd80c3d64bf98b72b3dd3c032257",
"criteria": "States that summary judgment is appropriate when the movant shows that there is no genuine dispute as to any material fact and the movant is entitled to judgment as a matter of law"
},
{
"verifier_id": "ver_d68d038cdcab4182a35543a... |
task_4c76ef32414a490ebdf5a68aac57e6ca | World418_AH_01 | world_aa672f35da64403f81004c0223f26a01 | Law | Review the shipbuilding contract ("Contract") and draft assignment agreement for the Contract (the "Assignment"). The Assignment will be used by LNG SHIPPING INC. ("LNG") to assign the Contract to its financial lending institution. Section 3 will be replaced with a set of conditions that the financial lending instituti... | null | message_in_console | Section 4 of the Assignment can be removed without altering the effectiveness of the Assignment or risk allocation among the parties of the Assignment. | text | [
{
"verifier_id": "ver_dfea00ea43524111b40b8cafb1c15c12",
"criteria": "States that Section 4 of the Assignment can be removed without affecting the effectiveness of the Assignment or risk allocation"
}
] |
task_2b7ec4e367344236a14da9094c8d1019 | Task jdgh600b | world_aa672f35da64403f81004c0223f26a01 | Law | Can you respond to me, giving a one or two sentence answer to each of the following questions:
1) what is the key principle regarding information exchange from the Joint Venture Antitrust Slides?
2) what mechanisms, if any, does the JV Agreement and Operating Agreement provide to ensure that LNG Shipping's involvement... | null | message_in_console | The key principle regarding information exchange that is outlined in the Joint Venture Antitrust Slides is information exchange between a joint venture and its partners should be restricted if the joint venture competes with one or both of its partners.
Neither the JV Agreement nor the Operating Agreement contain mech... | text | [
{
"verifier_id": "ver_946b04b7fd3b47fdb04463afe6b0d82b",
"criteria": "States that the key principle regarding information exchange is the following: information exchange between a joint venture and its partners should be restricted if the joint venture competes with one or both of its partners"
},
{
... |
task_8ec48c4dfa5e4f06b8bac76409c74d83 | Determine Outcome of Shipyard Fire and Delay | world_aa672f35da64403f81004c0223f26a01 | Law | Blue Anchor recently sued us (LNG Shipping Inc.) for claims of fraudulent inducement. We filed a motion to compel arbitration after Nakamura experienced a catastrophic fire at its shipyard. The motion cites the Operating Agreement, the Operating Agreement's Addendum, and the Assignment Agreement.
I need you to write ... | snap_289b47bbb2764af99a3fc6e08f116d65 | message_in_console | # 1. State Law Analysis
In answering what state's law applies, it's important to distinguish between state and procedural law. A state will always apply its own procedural rules, regardless of what substantive law applies. See Wildfire Prod., L.P. v. Team LeMieux LLC, No. 2021-1072 (Del Ch. 2022). Because this litigati... | text | [
{
"verifier_id": "ver_e8fd98093bc348a7a552e06eb5dd653e",
"criteria": "States that Blue Anchor's claims arise out of the rights granted by the Assignment Agreement"
},
{
"verifier_id": "ver_d94464afe46a45a9a7c47ad8e5aa7f21",
"criteria": "States that Blue Anchor's claims are governed by the arbitr... |
task_3413464bd2b14df6bd2ee15c36d3abf1 | World418-TK-01 | world_aa672f35da64403f81004c0223f26a01 | Law | Can you please assess whether or not the new LNG carries built by Nakamura Heavy Industries can be used in Jones Act Trade? Additionally, BlueLNG JV purchased another LNG vessel and asks whether it can be used in Jones Act Trade as well. It was built in 1992 in France.
Please give me your reply right back here. | snap_586040d4dd2b4823ba61b4317de74ad3 | message_in_console | No, the LNG carriers built by Nakamura Heavy Industries cannot be used in Jones Act Trade.
Yes, the LNG carrier built in 1992 in France can be used in Jones Act Trade solely between the U.S. and Puerto Rico. | text | [
{
"verifier_id": "ver_3767ce30f6cd4b089f1daccf2de14240",
"criteria": "States No, the LNG carriers built by Nakamura Heavy Industries cannot be used in Jones Act Trade"
},
{
"verifier_id": "ver_b6500c80baaa4fa58d5a32fa1c442ca2",
"criteria": "States Yes, the LNG carrier built in 1992 in France can... |
task_3bb0664007a140a981193fb43ba1be7b | World418-TK-02 | world_aa672f35da64403f81004c0223f26a01 | Law | Can you please let me know if the canceling date of the shipbuilding contract is 180 days? Just a quick yes or no here is fine. | null | message_in_console | No. | text | [
{
"verifier_id": "ver_ebd378cfdacf49e7bd3e611812eea277",
"criteria": "States \"No\""
}
] |
task_08c22c6bd072423284c2da7fb190b8bd | World418_EK_01 | world_aa672f35da64403f81004c0223f26a01 | Law | Does assigning the shipbuilding contract to the JV require any other member consents (under the JV Operating Agreement) that we don't already have?
Write out your answer to me here, and give a short reason to justify it. | null | message_in_console | No, assigning the shipbuilding contract to the JV does not require any other member consents under the JV Operating Agreement.
The assignment of the shipbuilding contract is LNG Shipping's initial capital contribution to the joint venture. Acceptance of the initial capital contribution is not a reserved matter under t... | text | [
{
"verifier_id": "ver_8c683b0fba1645c998888c2c31ba97ac",
"criteria": "States No, assigning the shipbuilding contract to the JV does not require any other member consents under the JV Operating Agreement"
},
{
"verifier_id": "ver_05115346678b438498d374554f3a0a60",
"criteria": "States that the ass... |
task_43ab089534f243eba52ee023a0508ac2 | Reconcile Compensation, Fee, and Cost Allocation Provisions Across All JV Documents | world_aa672f35da64403f81004c0223f26a01 | Law | BlueAnchor served BlueLNG with a notice claiming to exercise its put rights pursuant to the BlueLNG Operating Agreement. Can you please review the OA and confirm whether or not BlueAnchor can actually exercise this right? Write back to me your findings. Only consider the Operating Agreement in your analysis. | null | message_in_console | Blue Anchor cannot exercise its put rights under the Operating Agreement. | text | [
{
"verifier_id": "ver_a57077dfd6a04362873495443d510260",
"criteria": "States that Blue Anchor cannot exercise its put rights under the Operating Agreement"
}
] |
task_4d143fb2608745848a8f1096667996be | Analyze Effect of Anti-SLAPP Suit Against BlueLNG on Pre-Suit Discovery | world_aa672f35da64403f81004c0223f26a01 | Law | As counsel to BlueLNG and recently subpoenaed a news reporter under Rule 202 to find out whether he's illegally obtained trade secrets from one of our shipyards. The shipyard filed a motion to dismiss the pre-suit deposition proceeding under Texas's anti-SLAPP statute.
Can you take a look at the statute (attached) an... | snap_b4f0c1017cf541f9a8bdcc6cbb25e062 | message_in_console | Texas' anti-SLAPP statute, Tex. Civ. Proc. & Rem. Code Ch. 27, applies to a "legal action." A legal action is broadly defined as a "a lawsuit, cause of action, petition, complaint, cross-claim, or counterclaim or any other judicial pleading or filing that requests legal, declaratory, or equitable relief." Here, the pe... | text | [
{
"verifier_id": "ver_2dd1dceec41b4865bdb5bbe45b7e391f",
"criteria": "States that the motion to dismiss under Texas anti-SLAPP statute only applies to a \"legal action\""
},
{
"verifier_id": "ver_a572f1d952764ed9adfd7bbf4b17f8c7",
"criteria": "States that the petition is a legal action"
},
{... |
task_70af094f3ba54789a4436c4757edf43c | World 223_AE_Task_01 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Run a new DCF scenario. Make the following changes to the metrics in the projection period for Solventum:
- Update Sales of Product, Sales of Software, and Rentals from 2025 to 2029 to be a 2-year moving average growth rate.
- Cost of Product (%of Total COGS), and Cost of software and rentals (% of Total COGS) from 20... | null | message_in_console | The EV is $24,860m. The implied DCF share price is $121.80. | text | [
{
"verifier_id": "ver_57527aacf58c426ab15a5400ee06bd94",
"criteria": "States that the EV of Solventum from the DCF is $24,860 million"
},
{
"verifier_id": "ver_9bc5bc08cf93408baf248157d2f1e187",
"criteria": "States that the implied DCF share price of Solventum is $121.80"
}
] |
task_6e327fec5b334e25914662e45765f2b8 | World223_SMN_02 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Using the accretion dilution model, produce the deliverables outlined below. Round all the figures to whole numbers, present monetary amounts in $ mm and display percentages to two decimals places.
The client wants to make the following adjustments to the DCF model.
- Revise the COGS assumptions for both Cost of Pro... | null | message_in_console | 1. Sum of Discounted Value of cashflows for 2025E through 2029E excluding the terminal value is $6,012mm.
2. Terminal Value is $24,257mm.
3. Discounted Terminal Value is $17,579mm.
4. Enterprise Value is $22,536mm.
5. Discounted Terminal Value as a percentage of Enterprise Value is 78.00%. | text | [
{
"verifier_id": "ver_70bc3a4bd1bc4ed58b26e8762490d9fb",
"criteria": "States that the sum of Discounted Value of cashflows for 2025E through 2029E excluding the terminal value is $6,012mm"
},
{
"verifier_id": "ver_f68a9006f0944b91953066f43561826b",
"criteria": "States that the Terminal Value is ... |
task_340d128cb49e4df5952885b707a1cddd | WORLD223_ES_05 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Assume that no transaction happens with SOLV. Now, calculate the impact of a large investment in AI for MMM shareholders as an alternative capital allocation strategy using the accretion dilution model. Print me back the answer right here, showing:
Total new debt from MMM's AI related initiatives
Total debt
Total afte... | null | message_in_console | Based on the scenario that you outlined, here is the information you requested:
A- Total new debt from MMM's AI related initiatives $6,000 million
B- Total debt $18,603 million
C- Total after tax Interest Expense $843 million
D- PF Net Income $1,485 million
E- Pro Forma EPS $2.74
F- EPS accretion/dilution -56.97%
G- E... | text | [
{
"verifier_id": "ver_f3cc65e6b6e042f5b1737eb98a144806",
"criteria": "States Total new debt is $6,000 million"
},
{
"verifier_id": "ver_b28e44d7172741ccada8e237492ebac1",
"criteria": "States Total debt is $18,603 million"
},
{
"verifier_id": "ver_26ce1daf6f1e473c93dd13535d465002",
"c... |
task_c44daee40b2441539fb532efa0a08319 | World223_JTR_01 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | We want to do some historical analysis. Using stock prices for the 250 trading days up to Nov 19, 2025, calculate the beta for SOLVM to the XLV ETF. Then over the same time period, calculate the beta for MMM to the XLI ETF. Using the CAPM, calculate the cost of equity (Ke) for each company. Assume an expected market re... | snap_aaebf58364d444fba8d2d9c0869fa6d8 | message_in_console | Ticker Beta Ke
SOLV 0.18 5.4%
MMM 0.87 10.9% | text | [
{
"verifier_id": "ver_45b06c8cb29947a69ed8b4a75a48bdc4",
"criteria": "States beta for SOLV is 0.18"
},
{
"verifier_id": "ver_334fedcb683f4482b5aa6979c03028dd",
"criteria": "States Ke for SOLV is 5.4%"
},
{
"verifier_id": "ver_4f6c9978787444c8b543149e9ca3455f",
"criteria": "States bet... |
task_1ada04b9f9814985a1a7b11180268a0b | World223_AV_03 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | In the Accretion / Dilution Model, use the capital structure and shares outstanding assumptions for Solventum (SOLV) to calculate levered free cash flow and price per share. Specifically, use the following incremental assumptions:
- Revenue Growth Rate: 2.0% beginning in FY25E through the end of the forecast period FY2... | null | message_in_console | The implied price per share is $86.26 | text | [
{
"verifier_id": "ver_087452bd162c4f99827b057d7059d10a",
"criteria": "States the implied price per share is $86.26"
}
] |
task_60519c5af2d44d06a5f6885622195d50 | WORLD223_ES_01 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Estimate impact to EPS of MMM divesting 1/3, 2/3 or 100% of its holdings in SOLV.
Using the accretion dilution model, calculate the EPS impact of selling the different amounts of shares.
Assume that MMM has to pay a 20% tax on the proceeds from the divestiture of the first 1/3 of the shares, a 25% tax on the next 1/3 ... | null | make_new_sheet | snap_8aec8679a2f040cca942d0c3806046f4 | file | [
{
"verifier_id": "ver_ff7dd406d98d418e8882fdaf7c60b9b6",
"criteria": "States that EPS accretion when 1/3 of SOLV shares are divested is 1.06%"
},
{
"verifier_id": "ver_3fe603e93f444d7db02c6b5fab48119d",
"criteria": "States that EPS accretion when 2/3 of SOLV shares are divested is 2.05%"
},
... |
task_0896a8bf7ee3473d81baa594c05814b3 | World223_OB_04 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Present all $ output values in million, round all output values to 1 decimal place.
Get the following directly from the accretion dilution model:
- Enterprise Value (DCF output)
- PV of Free Cash Flows (2025–2029)
- Terminal Free Cash Flow (2029)
- Terminal Growth Rate (g)
- WACC
Assume that 3M ownership stake = 2... | null | make_new_slide_deck | snap_99fd574ab8bb40988c61f96c2ed2ef24 | file | [
{
"verifier_id": "ver_71c0ec1256de42b7aba70adf8b05e953",
"criteria": "States 3M's Current Implied Stake Value is $5,499.7 million"
},
{
"verifier_id": "ver_f19ef4c692e048709cf69fc27f68ae70",
"criteria": "States Sum of PV of Revised Discounted FCFs is $4,790.1 million"
},
{
"verifier_id":... |
task_498f648416184645bf732a0b4a94c40b | World223_CG_01 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Compare the average tenure of Solventum's board members to the average of its peers' board members (excluding Solventum). Give their average tenure. Then, state which is larger and by how many years. Use the data available in: BLCO DEF14A 2025, 5Form DEF 14A for GE Healthcare Technologies INC filed 04:10:202, PEN Form ... | null | message_in_console | The average tenure of Solventum's peer is 5.67 years.
Solventum's average tenure is 1.00 years.
The Peer average tenure is 4.67 years greater than Solventum's average. | text | [
{
"verifier_id": "ver_f0a28c2b8b814235bc8a214dd2de01c1",
"criteria": "States average tenure of Solventum's peers is 5.67 years"
},
{
"verifier_id": "ver_ff50847e46604c72841604a2c8912228",
"criteria": "States average tenure of Solventum is 1.00 years"
},
{
"verifier_id": "ver_26d174b18163... |
task_6caba0e23298489cbfc7732bf26ff1e3 | World223_SMN_05 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Using the merger model and 0000066740-25-000089, please calculate:
1. The Number of Shares Repurchased.
2. The Revised Enterprise Value.
3. The Revised EV/EBITDA multiple for 3M.
4. The Revised P/E ratio for 3M.
Present all monetary values in million dollars, rounded to nearest million. Round the number of shares, rat... | null | message_in_console | 1. The Number of shares repurchased is 14.30 million.
2. The Revised Enterprise Value is $ 86,767 million.
3. The EV/EBITDA multiple for 3M is 12.93x.
4. The revised P/E ratio for 3M is 23.31x.
| text | [
{
"verifier_id": "ver_3ef605e5c7de49a0978f2fd4fbd1c88c",
"criteria": "States that the number of shares repurchased is 14.30 million"
},
{
"verifier_id": "ver_6e5b84a8f66d4ef2a65799b724fe59e4",
"criteria": "States that the revised enterprise value is $ 86,767 million"
},
{
"verifier_id": ... |
task_8a0a32869f0946778e60441c0f179867 | World223_SMN_08 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Calculate the intrinsic value per share of Solventum based on these assumptions. Use the accretion dilution model.
- Lower the gross margin % to 52% for the forecast period 2026E through 2029E.
- Change Research & Development expenses as % of Sales to 15% wherein the discounted cashflow is higher than $1,100 mm in th... | null | message_in_console | The Intrinsic Value per share of Solventum is $ 94.47. | text | [
{
"verifier_id": "ver_ece24237526f4484b18562a137c1360d",
"criteria": "States that the intrinsic value per share of Solventum is $94.47"
}
] |
task_0ea7fa030cbe4d8ca517b48da89086e2 | WORLD223_ES_02 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Evaluate the sensitivity of EPS impact to synergies and cost of new debt for the acquisition of SOLV by MMM using the accretion dilution model.
Create a new tab in the file, with a table to show EPS impact (accretion or dilution).
- Show synergies in increments of $300 million (300m, 600m).
- Show cost of new debt in... | null | edit_existing_sheet | snap_407a37315c724b3e979a9b0c2d6e077b | file | [
{
"verifier_id": "ver_8296ae825d45421ab4b2c1b53fce405f",
"criteria": "States EPS impact at 15.00% cost of new debt, $300M in synergies is -13.02%"
},
{
"verifier_id": "ver_952f2e0e422a41fea92279ace98fd561",
"criteria": "States EPS impact at 15.00% cost of new debt, $600M in synergies is -8.98%"
... |
task_a7c1e23437d1451ca11f4ff27105fa40 | World223_AV_04 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Under Scenario 1 in the Accretion / Dilution Model, 3M will use 50% debt / 50% equity. $250 million in pre-synergies were identified. Use the following assumptions in the Assumptions S1 tab of the Accretion / Dilution model:
- Pre-Tax Synergies: $250mm
- Control Premium: 25%
- % Stock: 50%
- % Debt: 50%
- Interest Rat... | null | message_in_console | The revised Accretion / Dilution % for 3M is 23.29%. | text | [
{
"verifier_id": "ver_17bcb2d3053442089ef2fdcf5dc0e1bb",
"criteria": "States the revised Accretion / Dilution % for 3M is 23.29%"
}
] |
task_a8d6687624d948efaf37a4c4fa366af4 | World_223_IL_03 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Perform a value-creation analysis based on scenario 1 using the accretion dilution model to assess whether Scenario 1 creates or destroys value for 3M Shareholders.
Assumptions:
1. 3M Levered Beta is 1.15
2. Risk free rate is 4.00%
3. Equity risk premium is 5.50%
4. Calculate cost of equity using CAPM: Risk-free rate ... | null | message_in_console | | Metric | Base | PF |
|----------|-------|-------|
| 3M WACC | 9.37% | 9.53% |
| Spread | -0.84% | -1.01% | | text | [
{
"verifier_id": "ver_564498298f254620a17e5e37c56d0c15",
"criteria": "States that Base 3M WACC is 9.37% "
},
{
"verifier_id": "ver_7811e9d55b7c4c1ca3f03973040c840d",
"criteria": "States that the Base Spread is -0.84%"
},
{
"verifier_id": "ver_28dbffa2284041b2b1bc49e16a9bd589",
"crite... |
task_1b4e8b477170491287e72bdd45eb4763 | World_223_IL_01 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Solventum (SOLV) announced a $2.0 billion strategic expansion funded with 70% debt and 30% equity, which caused its share price to increase by 5% relative to the closing price on 11/18/2025. Using the most recent accretion/dilution model rerun scenario 1, assuming the updated SOLV share price.
Determine the revised pr... | null | message_in_console | The revised premium that 3M would pay under the updated assumptions to keep EPS accretion flat relative to the level from the original 30% premium case is 2.68%. | text | [
{
"verifier_id": "ver_f706b581507f44a5ba07dc46a1e73706",
"criteria": "States that the revised premium 3M would pay under the updated assumptions to keep EPS accretion flat relative to the level from the original 30% premium case is 2.68%"
}
] |
task_943b6b1f7cc3442f91957583369004eb | World223_AV_02 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | In the Accretion / Dilution Model, assume stock-based compensation equals 3% of the sum of operating expenses and cost of goods sold, calculated using the model’s existing methodology, and added back to free cash flow in each forecast year.
Using the “DCF-Solv” tab, provide an updated estimate of the present value of ... | null | message_in_console | The revised present value of future cash flows is $6,586.21 million. | text | [
{
"verifier_id": "ver_4fc190512b9642c0b6b4e5e49d097387",
"criteria": "States the revised present value of future cash flows is $6,586.21 million"
}
] |
task_3724da87dc9644ddb2844a5b58ee5f27 | World223_AV_01 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | In the Accretion / Dilution Model, there is an error in the calculation of Cost of Product and Cost of Software and Rentals. Calculate the correct revised implied Enterprise Value after the divestiture. Please fix the linking and use the correct formula in the "DCF-Solv Tab" to calculate Product Gross Margin and Softwa... | snap_b64babc3121344c2b1dd14be85b870a0 | message_in_console | The revised implied Enterprise Value after the divestiture is $24,681.76 million. | text | [
{
"verifier_id": "ver_c4e586eb62f04fc58693b974c0ca1b62",
"criteria": "States the revised implied Enterprise Value after the divestiture is $24,681.76 million"
}
] |
task_973f357750e2416c90f45be924d87d7f | World223_SMN_04 | world_767c001731ba4316a35908dbb107cf85 | Investment Banking | Using the 3Q 2025 3M 10Q and the accretion dilution model, calculate the following deliverables. Present all values in millions ($mm), number of shares in millions (mm), and round to whole numbers. For percentages, two decimal places. Give me the answer straight back here as a message.
Base your deliverables on the fo... | null | message_in_console | 1. Free cash flow available for buyback 2026E is $85 mm.
2. The buyback capacity of 3M is $7,286 mm.
3. The number of shares that can be repurchased by 3M is 44 mm.
4. The percentage reduction in shares outstanding is 8.23%. | text | [
{
"verifier_id": "ver_08235036902b44408b258eb50d5b6915",
"criteria": "States the free cash flow available for buyback 2026E is $ 85 mm"
},
{
"verifier_id": "ver_1826c8b6ec8341cf843b0aba62b75905",
"criteria": "States the buyback capacity of 3M is $ 7,286 mm"
},
{
"verifier_id": "ver_5836f... |
task_490216c0e06748fe84c5c0aa59360cba | LawWorld417_NAF_02 | world_e81842899beb4631b2e07feafb4018dd | Law | Our client, William Ito, shares custody of a child with Sarah Rodriguez. Can you please review his email (pasted below) and tell me how much child support needs to be paid and by whom?
Assume the gross to net income conversion table and income share schedules for 2025 are the same as 2026. Please also give me the bas... | snap_adfb8eeaff6b46a9a5aebfe7e921edd3 | message_in_console | Based on my review of the file, Sarah Rodriguez has to pay monthly child support in the amount of $195 to William Ito. The basic child support obligation is $2,059.
Key Factual Assumptions:
To ascertain the correct method of calculation, the parenting time was calculated as 182 overnights per year for William and 183 ... | text | [
{
"verifier_id": "ver_a1a2c52c3eb04a13b9969cd38cc36475",
"criteria": "States that Sarah Rodriguez has to pay child support to William Ito"
},
{
"verifier_id": "ver_0590174340224155baa1e1ac6e5dc358",
"criteria": "States that the monthly child support payment is $195"
},
{
"verifier_id": "... |
task_7a9c79c92d95434cb642ef8c3cccfc60 | World417_TS_03 | world_e81842899beb4631b2e07feafb4018dd | Law | Our client, Chasing Streams, LLC, needs to know whether or not it might be liable to either or both employees who filed suit against it for violation of the California and/or Federal WARN Act. Please juxtapose the provisions of the Act to the company files. Write your reply back to me so I can decide next steps. | snap_d116dcfdb8d84ac38ebdba2265289589 | message_in_console | Streams cannot be held liable under the Federal or California WARN Act for terminating either Yvonne Sanchez or William Ito. Under both Acts, a 60-day notice is required for employees of six months or more. Yvonne's notice was five days short of the 60-day notice requirement, but she had not been with the company for s... | text | [
{
"verifier_id": "ver_635e022445314693a04ca67aa4902cce",
"criteria": "States that the Federal WARN Act requires companies to provide employees of six months or more, who will be affected by a mass layoff, a notice that is dated at least 60 days prior to the termination date"
},
{
"verifier_id": "ver... |
task_6caf6e9032174bac8f69edf07deb06f0 | World417_TS_04 | world_e81842899beb4631b2e07feafb4018dd | Law | As part of the completed merger, ChasingStreams transferred to ParaZon thirty employees, who would continue the same work under ParaZon’s rate of pay and benefits, most of which were substantially similar to ChasingStreams. After Jaydon Cole was laid off by ParaZon, he filed a class action lawsuit, violation of the Cal... | null | message_in_console | No, ParaZon is unlikely to succeed in its Motion to Dismiss.
Cole could successfully assert that the WARN Act applies by combining the number of laid off employees with the number of transferred employees, thereby meeting the WARN Act threshold of a "mass layoff." | text | [
{
"verifier_id": "ver_da6e022a580945da926306abc7cd285a",
"criteria": "States No, ParaZon is unlikely to succeed in its Motion to Dismiss"
},
{
"verifier_id": "ver_465ad2f6214c49c19b7a9e8c6eeae070",
"criteria": "States that a \"mass layoff\" may have occurred, triggering the California WARN Act"
... |
task_b16c92248f9a43398791e6587a560730 | LawWorld417_AB_01 | world_e81842899beb4631b2e07feafb4018dd | Law | We are working on the Angeles case. He is the custodian who sued Chasing Streams under the ADA based on his termination and failure to accommodate. It's the one where he made a verbal request, but Chasing Streams never addressed it.
What are our chances on a motion to dismiss? Explain why. Give your reply here. | null | message_in_console | I anticipate that Chasing Streams will be successful in its motion to dismiss.
Under the ADA and its implementing regulations, a plaintiff is required to obtain a "right to sue" letter from the U.S. Equal Employment Opportunity Commission (EEOC) before the plaintiff can file suit. In order to obtain such a letter, th... | text | [
{
"verifier_id": "ver_7e004cd02a7547fda7d30c8858e16946",
"criteria": "States that Chasing Streams will be successful in its motion to dismiss"
},
{
"verifier_id": "ver_a441d738644749debceaa222c66b4816",
"criteria": "States that Angeles was terminated"
},
{
"verifier_id": "ver_f1e906d464d... |
task_76c43bb44ab54ab8b42269303dedf83a | LawWorld417_NE_06 | world_e81842899beb4631b2e07feafb4018dd | Law | We will layoff our Head of Production Sarah Rodriguez as part of the upcoming merger. Please review Section IV of Sarah's layoff and WARN Notice and let me know if the language violates WARN. Answer to me right back here. | snap_dd59030b2b0e40d3bdc4f597160492b2 | message_in_console | The language in the WARN notice presents issues regarding potential remedies. The WARN Act (specifically 29 U.S.C. § 2104(a)(2)) allows employers to reduce their liability for back pay by any "voluntary and unconditional payment by the employer to the employee[s] that is not required by any legal obligation."
Severa... | text | [
{
"verifier_id": "ver_65fe2fcc60234b74b3f5803bd817136b",
"criteria": "States that the language in Section IV presents issues regarding potential remedies"
},
{
"verifier_id": "ver_30a424e743e44a1f9e33ed4735f02250",
"criteria": "States that the attempt to use a pre-existing contractual obligation... |
task_2f209bd1a8974f5fad59377f8e315910 | World417_TG_03 | world_e81842899beb4631b2e07feafb4018dd | Law | In preparation for ParaZon's HSR submission, please review the email exchange between it and ChasingStreams, its lost aircraft memo, and its member admission memo.
Identify which of these files is required for submission by ParaZon pursuant to the attached Federal Trade Commission HSR Form Updates.
Reply to me with y... | snap_822e78f177634aae9ffe902432664be3 | message_in_console | None of the files listed constitutes a Transaction-Related Document required for submission by ParaZon with its Acquiring Person Notification and Report Form for the acquisition of ChasingStreams. | text | [
{
"verifier_id": "ver_6dd614b4b4d54b83828e5e2ab8a191eb",
"criteria": "States that none of the documents from the list provided constitutes a Transaction-Related Document required to accompany ParaZon's submission of the Federal Trade Commission's Acquiring Person Notification and Report Form for its acquisi... |
task_384b35183b374b5482edfff4f071c834 | LawWorld417_NE_03 | world_e81842899beb4631b2e07feafb4018dd | Law | We're helping one of ChasingStreams's talent partners create a project for distribution on their channel(s).
In addition to providing the production stages, ChasingStreams will contribute $10,000 cash plus $20,000 in employee time. We're otherwise staying hands-off with the project. Do we need any separate agreements ... | null | message_in_console | Yes, a separate revenue agreement is required with each talent.
ChasingStreams's financial contribution totaling $30,000 to the project's production costs exceeds the threshold contribution of $25,000 to render it a "Co-Created Work". Therefore, this separate revenue agreement is required under the IP & Content Owne... | text | [
{
"verifier_id": "ver_01a05329b5df44ddb0e1a60399a9bf3c",
"criteria": "States Yes, a separate revenue agreement between ChasingStreams and each of the talent is required for the project"
},
{
"verifier_id": "ver_b283deee63c34272a4ab937789222129",
"criteria": "States that the IP & Content Ownershi... |
task_43de2db73b5a4d899660f13394e80085 | LawWorld417_AS_02 | world_e81842899beb4631b2e07feafb4018dd | Law | As you know, the new artist montage reel is a hit. Unfortunately, one of the artists featured is not a fan of the wardrobe upgrade - Mara Sings sent a takedown notice, and we initially complied, but we'd like to keep the reel in production and on air.
Can you draft a letter to Mara that outlines Streams' IP policies ... | snap_811bfb86a08c46b6b0bdea479023c352 | message_in_console | Re: Response to Takedown Notice & Request for Permission to Air Promotional Reel
Dear Mara,
Thank you for reaching out and for sharing your concerns regarding the recent promotional reel that includes an eight-second clip from one of your original videos. We value our longstanding relationship with you and want to en... | text | [
{
"verifier_id": "ver_d7f01d52ee9a4f949d923479fd37b258",
"criteria": "States that the promotional reel was a derivative work"
},
{
"verifier_id": "ver_bc6405b2d74a465c9d645a68b4c13cb9",
"criteria": "States that the promotional reel was within the permissible uses of the company's license with Ma... |
task_075c6f8ffb1548508e94e67e4ba04bbb | LawWorld417_ANB_04 | world_e81842899beb4631b2e07feafb4018dd | Law | Chasing Streams fired its entire facilities department and Head of Production before ParaZon acquired it. Sarah Rodriguez filed a Complaint on July 4, 2025 against ParaZon claiming not enough notice was given to her, and damages from breach of her employment contract. How much is ParaZon liable to Sarah in damages for ... | snap_34453b0578014792bdb0afe45b9da9e1 | message_in_console | ParaZon is not liable to Sarah Rodriguez for any damages under the California WARN Act, and is thus responsible for $0 in damages. | text | [
{
"verifier_id": "ver_b17b9843602b4d7bbfb7e17c50fe1a8e",
"criteria": "States that the amount that ParaZon is liable to Sarah Rodriguez under the WARN Act is $0"
}
] |
task_d8119ffe94d4444dbfb6626cf3eab3a2 | World417_TG_01 | world_e81842899beb4631b2e07feafb4018dd | Law | We just received a demand letter from Isaiah’s counsel. He alleges wrongful termination and FMLA interference. Can you look into the validity of his claims and return me back a write-up of what you find? I want you to just write your answer right here. | null | message_in_console | You’ve asked me to determine if Isaiah has valid wrongful termination and FMLA interference claims.
# Wrongful Termination Analysis
Section 7(a) of Brown's Employment Agreement establishes an “at-will” employment relationship under California law, the governing law of the agreement, which may only be overcome by a res... | text | [
{
"verifier_id": "ver_fa7c9d0bbd4d4cac802339919f4822c4",
"criteria": "States that Brown's employment is at-will under California law"
},
{
"verifier_id": "ver_90b41a7a2614451db4a211b0d1719415",
"criteria": "States that illegal termination is an exception to at-will employment in California"
},... |
task_01fef67b5576468d854319d4d8a84988 | LawWorld417_AS_03 | world_e81842899beb4631b2e07feafb4018dd | Law | As you know, “Bare Bones Decor” - Ava Kim’s limited series - is near completion. We have been collaborating with Ava on this production for months, with the understanding that Streams would retain the exclusive rights to broadcast it and then package it as an online course, with a 50/50 revenue split with Ava. This was... | null | message_in_console | Amendment to Talent Agreement
This Exclusivity Agreement is entered into as of _______ (“Effective Date”) by and between: Chasing Streams, LLC, a California limited liability company (“Streams”), and Ava ___, an individual creator (“Creator”), as an amendment to the original Talent Agreement ("Original License") betw... | text | [
{
"verifier_id": "ver_67d411cb765345348ac62094e4250dea",
"criteria": "States that the agreement amends the original talent contract between Ava Kim and Streams"
},
{
"verifier_id": "ver_7324c4c809ad4a2bbe2d251fb92d1bee",
"criteria": "States that the scope of the contract is specifically limited ... |
Subsets and Splits
No community queries yet
The top public SQL queries from the community will appear here once available.