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4 Jan 2016, 4:08 pm by Kevin LaCroix
Obviously, the statute only relates to Delaware corporations. [read post]
3 Jan 2016, 2:03 pm by Omar Ha-Redeye
These differences are usually accentuated across generations. [read post]
3 Jan 2016, 1:59 pm by Ron Friedmann
Currently Crowd & Co’s revenue model is based on a brokerage fee for transactions completed. [read post]
28 Dec 2015, 12:32 pm by Trent Dykes
  A “qualified small business” is generally defined by the IRS as a domestic C corporation that is engaged in an active trade or business and has gross assets that do not exceed $50 million (measured at the time the qualified stock is initially purchased). [read post]
28 Dec 2015, 3:46 am by Broc Romanek
Conflating them in order to see if the combination exceeds company earnings generates an interesting number—but shouldn’t generate an automatic conclusion that shareholder payments are crowding out capital allocations for company development. [read post]
28 Dec 2015, 2:51 am by Ben
And the French civil Supreme Court, the Cour de Cassation, held that a corporation cannot be the author of a work protected by copyright: “une personne morale ne peut avoir la qualité d’auteur. [read post]
25 Dec 2015, 2:37 pm by Old Fox
Others rely on pollution-belching diesel generators to avoid hooking into the grid. [read post]
24 Dec 2015, 4:00 am by Administrator
Thus, the role of the general counsel is not merely that of risk assessor or fire fighter; rather, the general counsel is expected to be a full partner on the management team of the corporation. [read post]
23 Dec 2015, 1:02 pm by Lax & Neville LLP
” Ultimately, AAM invested $27,077,436 of Hughes’ clients’ funds in Tribal bonds between August 22 – 26, 2014, and $16.2 million on April 16, 2015, without disclosing the investment to any of the clients or the revenue it would generate for BFG. [read post]
23 Dec 2015, 6:46 am by George Ticoras, Esq.
Congress explicitly prohibited the Internal Revenue Service from making new rules concerning the political speech or activity of 501(c)(4) organizations. [read post]
22 Dec 2015, 2:38 pm by Daniel Hemel
Section 162(m) of the Internal Revenue Code generally prevents a publicly traded corporation from claiming a tax deduction for compensation to a CEO or other top executive in excess of $1 million a year. [read post]
22 Dec 2015, 2:38 pm by Daniel Hemel
Section 162(m) of the Internal Revenue Code generally prevents a publicly traded corporation from claiming a tax deduction for compensation to a CEO or other top executive in excess of $1 million a year. [read post]
22 Dec 2015, 2:38 pm by Daniel Hemel
Section 162(m) of the Internal Revenue Code generally prevents a publicly traded corporation from claiming a tax deduction for compensation to a CEO or other top executive in excess of $1 million a year. [read post]
21 Dec 2015, 8:14 am by Gene Takagi
The law’s application is not limited to entities that are tax exempt under section 501(c)(3) of the Internal Revenue Code. [read post]
20 Dec 2015, 4:53 pm by Sabrina I. Pacifici
  “Taxing corporate revenues from innovation-based activities less will not only boost U.S. global competitiveness it will help bring back IP-based corporate profits now overseas. [read post]
18 Dec 2015, 2:00 am by Brent Lorentz
  And this is BIG business-YouTube generated about $4 billion in revenue last year and will likely surpass that this year. [read post]
17 Dec 2015, 12:55 pm by Elina Saxena
Security Council will meet today to discuss and likely adopt a resolution which is aimed at crippling the Islamic State’s funding by targeting revenue sources like oil trade and antiquities sales. [read post]
16 Dec 2015, 8:07 am by Adam N. Marinelli
Be aware of the consequences In general, regular dividends and constructive dividends are taxed in much the same way, but because regular dividends have been properly taxed and constructive dividends have not, it leads to tax trouble for both the corporation and the shareholder. [read post]