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18 Dec 2020, 10:55 am by Hayleigh Bosher
It highlights the interconnections between domestic and international copyright laws, general criminal law and mechanisms in internal law for transnational cooperation for criminal enforcement. [read post]
18 Dec 2020, 8:20 am by Kevin Kaufman
A simpler and more neutral excise tax should correspond to the harm it is addressing or the cost it is internalizing. [read post]
18 Dec 2020, 7:34 am by John Jascob
These included the design and performance of audit procedures to address risk assessments related to revenue. [read post]
18 Dec 2020, 5:58 am
The accounting fraud for both companies was eventually discovered by internal audits or SEC probes and are examples of the more traditional path leading to a securities class action being brought against any company. [read post]
Ofcom’s costs will be paid by companies falling under the scope of the law, above a (yet to be determined) threshold based on global annual revenue. [read post]
17 Dec 2020, 8:04 am by Kristian Soltes
Run through the Department for International Trade (DIT), the Leading Edge programme will focus on priority markets, beginning with Singapore, Australia and the US. [read post]
17 Dec 2020, 6:10 am by Parks & Jones
  A 1031 exchange is a tax strategy outlined in the Internal Revenue Code that allows property or business owners to gain on the sale of property used in a trade or business or held for investment, so long as the proceeds are reinvested in a “like-kind property or exchange. [read post]
16 Dec 2020, 5:30 am by Bailey DeSimone
The following is a guest post by Kathryn Gstalder, an intern with the Digital Resources Division of the Law Library of Congress. [read post]
15 Dec 2020, 4:02 pm by Cory Doctorow
The DMA’s premise is that gatekeepers are international in nature, and EU member states on their own can’t hope to regulate them; it takes an international body like the EU itself to bring them to heel by forcing them to comply with a list of do’s and don’ts. [read post]
15 Dec 2020, 10:17 am by Douglas A. Berman
Here is its abstract: Quite a few judicial opinions in recent years have discussed the constitutionality of Internal Revenue Code section 280E, which denies income-tax deductions and... [read post]
15 Dec 2020, 10:17 am by Kevin Kaufman
This provision would clarify that status of PPP expense deductions, which have been disallowed by the Internal Revenue Service (IRS) in related administrative guidance. [read post]
15 Dec 2020, 8:31 am by admin
So law firms don’t own clients, although the revenue stream from clients is an asset of the firm, at least until it isn’t. [read post]
15 Dec 2020, 8:00 am by Sophia Han
According to the Internal Revenue Manual (IRM 5.1.18.20.3 (7-17-19)), the IRS uses normal investigative techniques to identify virtual currency including interviews, bank or credit card analysis, summonses of exchanges and financial institutions, review of Forms 1099-K, review of FinCEN Query reports, tracking and internet searches. [read post]
14 Dec 2020, 9:00 am by Eric Nyman
Treasury Department and Internal Revenue Service (IRS) released guidance clarifying the tax treatment of expenses where a Paycheck Protection Program (PPP) loan has not been forgiven by the end of the year the loan was received. [read post]
14 Dec 2020, 6:00 am by Jane Turner
Kuba does not feel that she was terminated for proper cause, but in fact, terminated due to both her internal whistleblowing and her SEC whistleblower tip. [read post]
14 Dec 2020, 1:55 am by Kevin Kaufman
General Comments One key weakness in the documents is that they fail to provide a clear and consistent vision for the international tax system. [read post]
13 Dec 2020, 10:00 pm
Our tax team published a LawFlash on the recently released Internal Revenue Service Revenue Ruling 2020-27 and Revenue Procedure 2020-51, which provide guidance on the deductibility of certain expenses paid or incurred in a taxpayer’s business using loan proceeds from a “covered loan” provided under the CARES Act’s Paycheck Protection Program (PPP). [read post]
13 Dec 2020, 10:00 pm
Our tax team published a LawFlash on the recently released Internal Revenue Service Revenue Ruling 2020-27 and Revenue Procedure 2020-51, which provide guidance on the deductibility of certain expenses paid or incurred in a taxpayer’s business using loan proceeds from a “covered loan” provided under the CARES Act’s Paycheck Protection Program (PPP). [read post]