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6 Jul 2007, 12:58 pm
The Treasury Department and the Internal Revenue Service have a strange relationship with Administrative Procedure Act notice-and-comment rulemaking procedures. [read post]
5 Feb 2015, 2:06 pm
Treasury Department Regulations. [read post]
6 Jun 2022, 9:33 am
Department of the Treasury. [read post]
12 Jun 2024, 11:37 am
Department of the Treasury. [read post]
9 Jun 2023, 6:02 am
Department of the Treasury. [read post]
12 Jun 2024, 11:37 am
Department of the Treasury. [read post]
9 Jun 2023, 6:02 am
Department of the Treasury. [read post]
22 Jun 2021, 9:08 am
Department of the Treasury. [read post]
22 Jun 2021, 9:08 am
Department of the Treasury. [read post]
6 Jun 2022, 9:33 am
Department of the Treasury. [read post]
12 Jun 2024, 11:37 am
Department of the Treasury. [read post]
9 Jun 2023, 6:02 am
Department of the Treasury. [read post]
6 Jun 2022, 9:33 am
Department of the Treasury. [read post]
22 Jun 2021, 9:08 am
Department of the Treasury. [read post]
5 Sep 2023, 6:29 am
IRS Support for SALT Cap Workarounds While the Treasury Department has issued proposed or final regulations authorizing this maneuver, the Internal Revenue Service did issue IRS Notice 2020-75, in which they have blessed off on this workaround. [read post]
19 Mar 2013, 10:45 pm
Treasury Department’s Office of Tax Analysis, emphasized that tax enforcement imposes various costs on complying taxpayers. [read post]
26 Oct 2018, 2:00 am
IRS Reviewing ‘One Bad Apple’ Rule Separately, the Internal Revenue Service (IRS) is said to be reviewing the “one bad apple” rule relating to MEPs, although that provision was not included in the new DOL proposal. [read post]
26 Oct 2018, 2:00 am
IRS Reviewing ‘One Bad Apple’ Rule Separately, the Internal Revenue Service (IRS) is said to be reviewing the “one bad apple” rule relating to MEPs, although that provision was not included in the new DOL proposal. [read post]
25 Feb 2010, 2:17 am
This hole in the literature is surprising given that explicit taxpayer choices, in the form of tax elections, generally reflect pure tax-planning opportunities that are affirmatively granted to taxpayers by Congress and the Treasury Department and given that tax elections continue to be added to the Internal Revenue Code. [read post]
16 Aug 2006, 11:16 am
Department and Internal Revenue Service issued proposed and temporary regulations on the tax treatment of services transactions, including services transactions related to intangible property, under the related party transfer pricing rules. [read post]