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11 Jun 2020, 9:51 am by Cynthia Marcotte Stamer
  The Department of the Treasury (“Treasury Department”) and the Internal Revenue Service (“IRS”) are inviting businesses and individuals to submit recommendations about what issues the 2020-2021 Priority Guidance Plan should include. [read post]
24 Nov 2012, 12:40 pm by Marco Rossi
 Italy’s tax administration is increasing its enforcement activities in the area of international tax law and is using banking information about inbound and outbound international transfers of money as starting point to begin audits on international taxpayers. [read post]
13 Aug 2012, 6:22 pm by Lindsey B. Zohn
With Miami’s sandy beaches, cultural sophistication and international exposure, it is no surprise that the city has positioned itself in 2012 as a sought-after domestic and international tourist destination. [read post]
25 May 2007, 5:27 am
The Internal Revenue Code provides that if any amount of assessed federal income tax is not paid "on or before the last date prescribed for payment," interest "shall be paid for the period from such last date to the date paid. [read post]
5 Nov 2008, 12:37 pm
UCH maintained it was entitled to a refund because its residents qualified for the "student exception" from FICA tax under the Internal Revenue Code ("IRC"), 26 U.S.C. [read post]
21 Nov 2016, 5:56 pm by Cynthia Marcotte Stamer
Employee benefit plans and tax-exempt organizations facing Internal Revenue Service (IRS) audits or investigations after April, 2016, their leaders and advisors should prepare for some changes in the practices IRS agents will use to issue and enforce document requests (IDRs). [read post]
16 Aug 2017, 7:00 am by Ahmed Shehata
Furthermore, the team would ensure that skills necessary for carrying out the integration are available internally, and hire externally if not. 4. [read post]
12 Feb 2020, 5:31 pm by Larry
Drawback is defined as the refund of 99% of customs duties, fees, and internal revenue taxes imposed on imported merchandise under federal law including the refund of internal revenue taxes on domestic alcohol as defined in 19 USC 1313(d). [read post]
5 Oct 2009, 4:20 am
This revenue procedure expands and clarifies the types of cases that may be mediated in Appeals. [read post]
26 Jun 2012, 11:51 am by Cynthia Marcotte Stamer
  The Internal Revenue Service (IRS)  is reaching out to help U.S. ex patriates and U.S. citizens with dual citizenship residing oversees to catch up on tax filings, deal with foreign retirement plan issues and help with other tax concerns. [read post]
23 Nov 2014, 12:00 am by Illinois BLJ
  [1] Internal Revenue Service Fiscal Year 2013 Enforcement and Service Results [2] Id [read post]
24 Sep 2024, 9:05 pm by renholding
The Internal Revenue Service (IRS) routinely monitors public companies to assess compliance with tax laws. [read post]
8 Aug 2009, 7:07 am
CIRCUIT: In this case it took the Internal Revenue Service’s (”IRS” or “the Service”) aggressive interpretation of the tax code to part millions of Americans with billions of dollars in excise tax collections. [read post]
9 Apr 2011, 8:40 am by S2KM Limited
The income tax exemption provided in Section 104(a)(2) of the Internal Revenue Code for "any damages" received "on account of personal physical injuries or physical sickness" specifically excludes "punitive damages". [read post]
7 Apr 2020, 6:28 am by Shannon O'Hare
  In 2007, final regulations were issued under Section 403 of the Internal Revenue Code of 1986, as amended (the “Code”). [read post]
30 Oct 2011, 1:28 pm by Cynthia Marcotte Stamer
The Internal Revenue Service recently released updated regulations governing the reimbursement of employees for, and deduction by business owners of lodging, meals, and incidental expenses during business related travel. [read post]
15 Sep 2016, 5:26 am by Kelly Phillips Erb
Last year, the Internal Revenue Service (IRS) received more than 1 million fraudulent tax returns and managed to stop nearly $7 billion in fraudulent tax refunds – and that’s just the feds. [read post]
16 May 2021, 4:05 pm by Marco Rossi
In this case, the taxpayer – a foreign citizen residing abroad – has set forth the possibility of moving and establishing his tax residence in Italy, in relation to the transfer of his employment relationship from an U.S. subsidiary to the EU holding company of an international group based in Luxembourg, with which the taxpayer would assume the position of president and chief executive officer. [read post]