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27 Mar 2013, 5:45 pm by Charles Rubin
This was a factual analysis, but the Court borrowed from other cases (including Goosen v. [read post]
27 Mar 2013, 5:45 pm by Charles Rubin
This was a factual analysis, but the Court borrowed from other cases (including Goosen v. [read post]
4 Feb 2013, 3:11 pm
Pursuant to the case of Balbuena v IDR Realty LLC, Company-A and Company-B moved for an order compelling further depositions of plaintiffs with regard to immigration status and income tax returns. [read post]
12 Nov 2012, 4:00 am
That's what happened in Mulcahy, Pauritsch, Salvador & Co. v. [read post]
19 Oct 2012, 5:01 am by James Edward Maule
When the provisions are inserted into the tax law administered by the IRS, rather than into the law dealing with economic assistance handled by other agencies, it adds the the Tax Court’s workload, though it creates jobs for tax lawyers.A recent case, Blakeney v. [read post]
17 Oct 2012, 9:26 pm by Kirk Jenkins
(3) Does the clause of 735 ILCS 5/13-214.2(b), the statute of repose relating to tax professionals, providing for the last date on which a claim for professional negligence may be brought when an IRS tax assessment has been entered lengthen the statutory period of repose? [read post]
15 Oct 2012, 8:13 am by Charles Johnson
The Charles Johnson Law Firm represents individuals and institutions in matters such as: Hiding money Failing to file require cash transaction reports Making multiple cash withdrawals or deposits slightly below the $10,000 reporting threshold Evading taxes by underreporting income Alleged Patriot Act violations Illegal wire transfers Financial transactions involving proceeds of unlawful activity Other illegal transactions Federal criminal appeals involving money laundering Such… [read post]
11 Sep 2012, 9:39 am by admin
This was an important determination because it was a point of difference between the Sixth Circuit’s analysis and that of the Federal Circuit who held in CSX Corp. v. [read post]
1 Sep 2012, 3:10 pm by Russell Beck
For an excellent analysis of the South Carolina case, see Ken Vanko’s post, Supreme Court of South Carolina Address Validity of Invention A [read post]
29 Aug 2012, 12:35 pm by Pierre Gooding
Applying a tax label to the penalty was also a strained analogy in that the law does not provide for the same enforcement mechanisms that the Internal Revenue Service (“IRS”) usually wields to collect taxes. [read post]
25 Jul 2012, 10:20 am by Steve Peltin
The IRS since has modified its analysis to cover three factors and a number of sub-factors. [read post]