U.S. Tax Cases, Volum 92,Utgave 1Commerce Clearing House, 1992 1935-42 decisions originally reported currently in the Standard federal tax service, and 1941-42 also in the Federal estate and gift tax service, and 19 - in the Federal excise tax reports. |
Inni boken
Resultat 1-3 av 76
Side 83-448
... agreement with the appellant as to the goal of the operation : evading the requirement of filing CTRs . Thus , we conclude that a conspiracy existed between Bates and the appellant . b . The Conspiracy with Gorman and Salisbury The ...
... agreement with the appellant as to the goal of the operation : evading the requirement of filing CTRs . Thus , we conclude that a conspiracy existed between Bates and the appellant . b . The Conspiracy with Gorman and Salisbury The ...
Side 83-532
... agreement under section 7121 of the Internal Revenue Code . " The Associate Chief of the Appeals Section of the Indianapolis District Office of the IRS executed the docu- ment on April 15 , 1987 on behalf of the Commis- sioner of the ...
... agreement under section 7121 of the Internal Revenue Code . " The Associate Chief of the Appeals Section of the Indianapolis District Office of the IRS executed the docu- ment on April 15 , 1987 on behalf of the Commis- sioner of the ...
Side 83-533
... agreements , the result is controlled ultimately by the common law of equity . Cases have applied the doctrine of equitable estoppel to an informal settlement agreement in two different fact situations . The first situation supporting ...
... agreements , the result is controlled ultimately by the common law of equity . Cases have applied the doctrine of equitable estoppel to an informal settlement agreement in two different fact situations . The first situation supporting ...
Innhold
Boyd Joyce W DCDC | 83-5 |
Publix Supermarkets Inc ClsCt | 83-6 |
Karmazin Jay J DCLa | 83-7 |
Opphavsrett | |
11 andre deler vises ikke
Andre utgaver - Vis alle
Vanlige uttrykk og setninger
9th Cir action affirm alleged amended amount Anti-Injunction Act appeal apply argues argument assessment assets Attorney Back reference bank bankruptcy Bowlens capital cert claim Code Sec Congress corporation debtor decision deduction defendant defendant's deficiency denied determined disclosure district court documents employee entitled evidence exempt expenses fact failed federal tax lien filed funds government's Hugheses income tax return interest Internal Revenue Code Internal Revenue Service IRS's issue jurisdiction jury lease levy loss Masat ment Mentor motion for summary notice operating paid parties payment penalty Petitioners Placid plaintiff prior purpose pursuant reasonable records refund request responsible person rule S.Ct sale or exchange sovereign immunity statute of limitations statutory subrogation summary judgment Tax Court tax liability tax lien tax returns taxable income taxpayer TFDC tion trade or business transaction trial trust United United States Attorney USTC violation withholding withholding taxes