Search for: "Williams v. Internal Revenue Service" Results 41 - 60 of 237
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14 Apr 2020, 6:00 am by Kevin Kaufman
The combination and interaction of various child tax benefits—including the CTC, Earned Income Tax Credit (EITC), and Child and Dependent Care Tax Credit (CDCTC)—results in complexity, vagueness, duplication, and inefficiency for filers and the Internal Revenue Service (IRS). [read post]
10 Jan 2020, 11:56 am by Jonathan Shaub
But Republican legislators openly advocated for the impeachment of Internal Revenue Service (IRS) Commissioner John Koskinen in 2016 because of the IRS’s responses to their subpoenas. [read post]
23 Oct 2019, 11:57 am by Howard Knopf
The Board’s administrative staff have always exemplified the best characteristics of the Canadian public service. [read post]
31 Jul 2019, 10:30 am by Rachel Brown, Preston Lim
” The XuanTie 910’s success could introduce a “new revenue stream” for Alibaba and drive the company’s burgeoning “cloud services division. [read post]
11 Jul 2019, 8:00 am by Kevin Kaufman
Supreme Court’s decision in South Dakota v. [read post]
31 May 2019, 3:54 am by Tinker Ready
An internal medicine doctor generates $2.7 million in average revenues — 10 times his salary — for the hospital with which he is affiliated, while an average cardiovascular surgeon generates $3.7 million in hospital revenues, nearly nine times her salary, according to a survey released this year by Merritt Hawkins, a physician recruiting firm. [read post]
12 Apr 2019, 2:35 pm by opseo
According to the Internal Revenue Service, for those who received a refund this year that refund averaged to about $3,000 per person. [read post]
12 Apr 2019, 8:15 am by Matthew L.M. Fletcher
Michelle Lujan Grisham  (Gaming – Revenue Sharing)Brisbois v. [read post]
30 Dec 2018, 3:03 am by Ben
Court of Appeals, Ninth Circuit in Folkens v Wyland. [read post]
28 Dec 2018, 4:04 pm
§ 5321(a)(5) (2004) that currently are before the United States Court of Appeals for the Federal Circuit in a pending appeal: (1) whether the Internal Revenue Service (“IRS”) must establish that a taxpayer had knowledge of the legal duty under federal tax law to report foreign bank accounts, but acted in “reckless disregard” of that duty, before it may impose a civil penalty for a willful violation of 31 U.S.C. [read post]
23 Dec 2018, 7:53 am by Wolfgang Demino
Plaintiffs request that the Court take judicial notice of various documents related to litigation in Washington and Delaware, unpublished cases, and a page from the Washington Department of Revenue website. [read post]