Search for: "Tax Analysis v. Irs" Results 421 - 440 of 602
Sorted by Relevance | Sort by Date
RSS Subscribe: 20 results | 100 results
26 Jun 2015, 12:00 pm by John Ehrett
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]
11 Sep 2009, 1:01 am
Tax, of course, is not the only area of law where precision with words is critical to the analysis. [read post]
1 May 2020, 3:40 pm by Bijal Vira and Nirav Bhatt
 26 CFR § 1.1471-5(i)(2) states that, for federal tax income purposes, an “expanded affiliated group” is generally defined in accordance with the principles of the IRS Code to mean one or more chains of entities connected through ownership by a common parent entity. [read post]
31 Dec 2007, 3:36 pm
IRS by holding that the United States can tax awards for emotional distress and injury to reputation. [read post]
9 Jan 2012, 5:00 am by Emily Chan
Additional Resources: How Did 275,000 Nonprofits Lose Tax-Exempt Status? [read post]
15 Jun 2019, 6:01 am by Vishnu Kannan
Bobby Chesney discussed Justice Stephen Breyer’s analysis of the denial of cert in Al-Alwi v. [read post]
13 Dec 2022, 4:00 am by Michael C. Dorf
Write the analysis and conclusion portions of a memo that does so.Question 3 (35 percent)For purposes of this question, assume it is 2025. [read post]
26 Jun 2013, 2:23 pm by Rich McHugh
In a 5-4 opinion written by Justice Kennedy, the United States Supreme today held in United States v. [read post]