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”[8] The Louisiana expense attribution provisions outlined above are based on federal tax  provisions aimed at preventing United States taxpayers from claiming deductions for amounts incurred to generate income not included in federal taxable income by the United States.[9]  There are two Internal Revenue Code  (“Code”) provisions on which the Louisiana law is based: Section 265, which addresses the treatment of interest expense incurred to generate… [read post]
2 Dec 2020, 2:37 pm by Blaine Saito
“Americans UnitedInc., where the court applied the AIA to prohibit non-refund suits challenging the revocation of tax-exempt status of certain nonprofit entities. [read post]
30 Nov 2020, 2:37 am
 United States on behalf of Pittsburgh Tank & Tower, Inc. v. [read post]
25 Nov 2020, 9:10 am by Tim Rozelle
Doctors determined Lubinski should be transported by air ambulance to receive lifesaving treatment in the United States. [read post]
23 Nov 2020, 8:35 pm
The MVC Points program is not only harming those purchasers who fell for the ruse, but also the thousands of owners of legitimate week-based timeshare estates whose units share resort property with the corporate-owned units in the MVC Trust. [read post]
16 Nov 2020, 1:00 am by Jocelyn Hutton
First, the compatibility of United Kingdom corporate taxation with certain principles of EU law and the liabilities of the Revenue to a taxpayer who has overpaid tax on the basis of incompatible United Kingdom legislation. [read post]
13 Nov 2020, 1:30 pm by Richard Reibstein Esq.
Department of Labor to engage in meaningful, collaborative enforcement partnerships, including with [federal agencies] and state tax, unemployment insurance, and labor agencies. [read post]