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” Although the Final Rule reflects that while a determination by the Internal Revenue Service (“IRS”) that a nonprofit does not qualify for tax exemption is meaningful to the FTC’s analysis of whether that entity is subject to FTC oversight, the FTC’s analysis is separate and distinct. [read post]
” Although the Final Rule reflects that while a determination by the Internal Revenue Service (“IRS”) that a nonprofit does not qualify for tax exemption is meaningful to the FTC’s analysis of whether that entity is subject to FTC oversight, the FTC’s analysis is separate and distinct. [read post]
29 Apr 2024, 10:00 pm by Sherica Celine
Section 527 of the Internal Revenue Code provides a broad tax exemption for Political Action Committees (PACs) involved only in campaign activity. [read post]
22 Apr 2024, 10:00 pm by Sherica Celine
Practice before the IRS Essentials Checklist Identify signposts and steps to follow in practice before the Internal Revenue Service, including awareness issues, agreements during examinations, settlement procedures, closing agreements, and offers in compromise. [read post]
19 Apr 2024, 9:27 am by CFM Admin
The court granted the SEC’s summary judgment motion in part, holding that the defendants had offered and sold unregistered securities since it found that TerraUSD, LUNA and MIR tokens were investment contracts under United States v. [read post]
17 Apr 2024, 5:00 am by herrmann
Or the Internal Revenue Service may be unable to access liquid assets outside the United States. [read post]
The Internal Revenue Service (IRS) has alleged that he skirted at least $1.4 million in taxes between 2016 and 2019. [read post]
11 Apr 2024, 9:05 am by Jeffrey J. Spina-Jennings
The IRS will return an acknowledgement that it received the Form 8976. [read post]
10 Apr 2024, 11:44 am by Kailey Monsivais
On April 1, the United States Supreme Court opted not to review the dismissal of a lawsuit brought forward by three whistleblowers alleging negligence by the Internal Revenue Service (IRS). [read post]
8 Apr 2024, 10:00 pm by Sherica Celine
Section 409A Basics Video Learn more about the workings of Internal Revenue Code Section 409A which governs the tax treatment of deferred compensation granted to a service provider (typically, an executive employee). [read post]
1 Apr 2024, 8:36 am by Wiggam Law
Department of State as outlined in the Internal Revenue Code Section 7345. [read post]
5 Mar 2024, 6:46 pm by Gene Takagi
Department of the Treasury’s implementation of the law has unleashed an investment and manufacturing boom in the United States unlike anything seen in decades—especially in disadvantaged communities. [read post]
1 Mar 2024, 6:10 am by Federica Paddeu
In relation to the transfer of Russian assets in particular, the United States has been reported as endorsing countermeasures adopted “by states ‘injured’ and ‘specially affected’ by [the Russian] aggression” against Ukraine. [read post]
29 Feb 2024, 2:29 pm by Keith Szeliga and Emily Theriault
Definition of Compensation The FAR defines compensation for personal services to mean “all remuneration paid currently or accrued, in whatever form and whether paid immediately or deferred, for services rendered by employees to the contractor. [read post]
Further, to comply with the Internal Revenue Service’s (IRS) filing deadlines, those employers filing 1095-C forms electronically have until April 1, as paper filing has been mostly phased out. [read post]
27 Feb 2024, 8:15 am by franchiselawadmin
Section 280E refers to a provision in the Internal Revenue Code (IRC) of the United States. 280E has significant implications for businesses involved in the sale of controlled substances, including marijuana (or “cannabis” under Minnesota law). [read post]
27 Feb 2024, 8:15 am by franchiselawadmin
Section 280E refers to a provision in the Internal Revenue Code (IRC) of the United States. 280E has significant implications for businesses involved in the sale of controlled substances, including marijuana (or “cannabis” under Minnesota law). [read post]
26 Feb 2024, 8:30 am by Angela Alloju
” This certification, and its reversal, can only be made by select members of the Internal Revenue Service, including the Commissioner of the IRS, the Deputy Commissioner, or a specified delegate. [read post]