Is this a case control study or a cohort study ?
At a high school basketball tournament an award luncheon was catered for participating teams. Three to four days after the award luncheon 64 players reported becoming sick with symptoms of vomiting and diarrhea. Team rosters were used to collect illness and food history surveys from the different teams, but not all of players could be contacted. The survey was completed by 64 sick players and 147 players who attended the luncheon but did not get sick.
Correct answer: Cohort study
Rational:
Cohort study is a particular form of longitudinal study that sample the cohort group of people who sharing defining characteristics who experienced event in a selected period.
Its focused on exposure to outcome.
So its exactly a cohort study.
Is this a case control study or a cohort study ? At a high school basketball...
Is this a case control study or a cohort study? A family reunion for the Smith family was held at a local park pavilion. 24 hours after the reunion, 43 people suddenly became sick with symptoms of nausea, vomiting and diarrhea. A total of 133 family members were invited through an electronic invitation. Invitees were able to decline or accept the invitation and were able to provide what food item they would bring for the potluck. The coordinator had a...
Read the following Hornung v. Commissioner, 47 T.C. 428 (1967), which involves the constructive receipt doctrine and how it was used to determine the year of inclusion in taxable income. How does the constructive receipt doctrine impact a cash-basis individual’s taxable income? What factors could have resulted in a different determination? 47 T.C. 428 (1967) PAUL V. HORNUNG, PETITIONER v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT. Docket No. 3740-64. United States Tax Court. Filed January 27, 1967. 429*429 Michael J. Clare,...
Read the following Hornung v. Commissioner, 47 T.C. 428 (1967), which involves the constructive receipt doctrine and how it was used to determine the year of inclusion in taxable income and answer both question. How does the constructive receipt doctrine impact a cash-basis individual’s taxable income? What factors could have resulted in a different determination? 47 T.C. 428 (1967) PAUL V. HORNUNG, PETITIONER v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT. Docket No. 3740-64. United States Tax Court. Filed January 27, 1967....
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