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22 May 2024, 11:37 pm by Allen Graves
Understanding Tax Debt in Bankruptcy Tax debts, whether owed to the Internal Revenue Service (IRS) or state and local tax authorities, are treated differently than other types of unsecured debt in bankruptcy proceedings. [read post]
Daniel explained that robust revenues, limited new supply, and significant capital inflows continue to fuel the U.S. hotel industry’s extraordinary performance in the post-COVID era. [read post]
22 May 2024, 1:33 pm by Law Lady
Dissolution of marriage -- Equitable distribution -- Alimony -- Trial court erred in failing to make specific written findings of fact as to identification of marital assets and liabilities, valuation of significant marital assets, and designation of which marital assets and liabilities would be distributed to each spouse -- Error was preserved for review through wife's motion for rehearing -- Marital liabilities -- Federal income tax deficiency -- Trial court did not err in designating as a… [read post]
22 May 2024, 12:59 pm by Lindsey Tonsager and Jenna Zhang
Covered businesses:  The AADC covers for-profit entities doing business in Maryland (1) with at least $25 million in gross revenues; (2) when the business derives at least 50% of its revenue from the sale of consumer personal data; or (3) when the business buys, receives, sells, or shares the personal data of at least 50,000 Maryland residents. [read post]
The policy’s main objectives were to generate maximum revenue for the state and address the issue of counterfeit alcohol sales. [read post]
22 May 2024, 8:00 am by Paul Caron
These financial terms include, for instance, “compensation,” “expenditures,” “debt,” “coin,” “revenue,” “securities,” and “bankruptcies”—all of which determine the elementary building blocks of our governmental... [read post]
22 May 2024, 7:43 am by Tessa Shepperson
I was reassured that the referencing company would do a thorough check, including checks with accountant, annual revenue over the last few years etc. [read post]
22 May 2024, 2:00 am by Paul Caron
Tax Rev. 361 (2024): This article formalizes sections of the Internal Revenue Code — that is, represents them symbolically — and then reasons with these formalizations algebraically, graphically, and, in a... [read post]
21 May 2024, 10:00 pm
The US Department of Treasury and the IRS on May 16 released Notice 2024-41, which provides a new elective safe harbor that taxpayers may use to qualify for the domestic content bonus credit amount under Sections 45, 45Y, 48, and 48E of the Internal Revenue Code. [read post]
21 May 2024, 10:00 pm
The US Department of Treasury and the IRS on May 16 released Notice 2024-41, which provides a new elective safe harbor that taxpayers may use to qualify for the domestic content bonus credit amount under Sections 45, 45Y, 48, and 48E of the Internal Revenue Code. [read post]
21 May 2024, 10:00 pm
The US Department of Treasury and the IRS on May 16 released Notice 2024-41, which provides a new elective safe harbor that taxpayers may use to qualify for the domestic content bonus credit amount under Sections 45, 45Y, 48, and 48E of the Internal Revenue Code. [read post]
21 May 2024, 10:00 pm
The US Department of Treasury and the IRS on May 16 released Notice 2024-41, which provides a new elective safe harbor that taxpayers may use to qualify for the domestic content bonus credit amount under Sections 45, 45Y, 48, and 48E of the Internal Revenue Code. [read post]
21 May 2024, 10:00 pm
The US Department of Treasury and the IRS on May 16 released Notice 2024-41, which provides a new elective safe harbor that taxpayers may use to qualify for the domestic content bonus credit amount under Sections 45, 45Y, 48, and 48E of the Internal Revenue Code. [read post]
21 May 2024, 10:00 pm
The US Department of Treasury and the IRS on May 16 released Notice 2024-41, which provides a new elective safe harbor that taxpayers may use to qualify for the domestic content bonus credit amount under Sections 45, 45Y, 48, and 48E of the Internal Revenue Code. [read post]
21 May 2024, 10:46 am by bklemm@foley.com
Share on LinkedInShare on TwitterShare by EmailShare Back to top Late last week, the Internal Revenue Service (“IRS”) and Department of the Treasury issued highly anticipated guidance regarding the requirements to qualify for the domestic content bonus tax credit for investment tax credits under Sections 48(a)(12) and 48E(a)(3)(B) of the Code (the “ITC”) and production tax credits under Sections 45(b)(9) and 45Y(g)(11)… [read post]
21 May 2024, 8:55 am by Lawrence Solum
Here is the abstract: This article formalizes sections of the Internal Revenue Code — that is, represents them symbolically — and then reasons with these formalizations algebraically, graphically, and, in a novel approach for U.S. legal scholar-ship, using a computer program that proves theorems. [read post]
21 May 2024, 7:18 am by Richmond Cariaga
Factors such as revenue, assets, liabilities, and future earning potential may all come into play when assessing the value of a business for the purposes of divorce proceedings. [read post]