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9 Jul 2018, 10:20 pm by Kelly Phillips Erb
There is one tax-related case in his career, though, that stands out: Seven-Sky v. [read post]
31 Mar 2014, 4:28 am by Jon Hyman
Franklin was about death and taxes, I am certain that the IRS’s radar tops that list. [read post]
15 Sep 2011, 12:51 pm by Rick Hasen
Part VII applies the Kaplow analysis to all these considerations and concludes that the IRS should invest the time to develop a set of rules. [read post]
13 Apr 2021, 11:04 am by Kevin Kaufman
According to the Joint Committee on Taxation’s (JCT) most recent tax expenditure report, the R&D tax credit will reduce tax revenue by about $11.8 billion in 2020—$10.6 billion for corporations and $1.2 billion for individuals.[4] The R&D tax credit was first established in 1981, in the Economic Recovery Tax Act (ERTA). [read post]
5 Mar 2015, 3:31 pm
Blumstein is a noted health law and administrative law scholar who testified on the IRS tax credit rule in 2012. [read post]
27 Oct 2021, 9:01 pm by Neil H. Buchanan
After all, when most of the readers of this column pay any remaining tax that they owe (after accounting for withholding taxes) by sending a check to the IRS on April 15, their wealth goes down. [read post]
27 Oct 2021, 9:01 pm by Neil H. Buchanan
After all, when most of the readers of this column pay any remaining tax that they owe (after accounting for withholding taxes) by sending a check to the IRS on April 15, their wealth goes down. [read post]
17 Jul 2014, 12:26 pm by Charles (Chuck) Rubin
Below is Part 3 of my partner, Rick Josepher’s, analysis of the new offshore enforcement environment in light of the new 2014 Offshore Voluntary Disclosure Procedures. [read post]
21 Nov 2016, 5:01 am by James Edward Maule
A recent case illustrates this point.On November 15, the United States Court of Appeals handed down its opinion in Moneygram International, Inc. v. [read post]
17 Apr 2020, 8:51 am by John T. Bradford
  Per new section 172(b)(1)(D)(v)(II), for an NOL arising in tax year 2018 or 2019, this election must be made by the due date, including extensions, for filing the taxpayer’s federal income tax return for the first taxable year ending after March 27, 2020. [read post]
27 Mar 2015, 7:20 pm by Maureen Johnston
United States 14-921Issue: Whether the minimum required culpability state for denying a bankruptcy debtor a discharge of a tax debt based on the debtor's participation in a disallowed tax shelter, and spending decisions in light of a known or potential tax debt is: (1) negligence (i.e., the debtor should have known better than to participate in the tax shelter or spend money on something other than a present or potential future tax bill), per the… [read post]