Search for: "Long v. Commissioner of IRS" Results 61 - 80 of 226
Sorted by Relevance | Sort by Date
RSS Subscribe: 20 results | 100 results
Commissioner of Internal Revenue is another procedural case, this one asking whether the 30-day time limit to file a petition for review with the Tax Court following a notice of determination from the IRS is a jurisdictional requirement or a claim-processing rule subject to equitable tolling. [read post]
21 Jul 2020, 7:08 pm by David Cross and Nazreen Ali
” In coming to this view, Bromberg J considered, but ultimately decided not to follow, a number of earlier decisions of the High Court and the NSW Court of Appeal  (Neale v Atlas Products (Victoria) Pty Ltd (1955) 94 CLR 419; World Book (Australia) Pty Ltd v Commission of Taxation (1992) 27 NSWLR 377; Vabu Pty Ltd v Commissioner of Taxation (1996) 81 IR 150)) which dealt with the meaning of “contract that is wholly or principally for the… [read post]
25 Jul 2018, 12:49 pm by Jonathan H. Adler
Court of Appeals for the Ninth Circuit decided Altera Corporation v. [read post]
1 Dec 2015, 6:29 pm by Kelly Phillips Erb
Commissioner when a federal judge ruled that IRS didn’t have that right. [read post]
21 Mar 2024, 1:01 pm by Joshua Smeltzer
The IRS has long held the position that partners are not employees for purposes of the Federal Insurance Contributions Act (FICA), Federal Unemployment Tax Act (FUTA), or withholding, and that partners cannot have dual status as a partner and an employee [read post]
1 Aug 2012, 6:51 am by Joe Kristan
Commissioner, 737 F.2d at 1417-1418; see also Powers v. [read post]
30 Jan 2024, 9:02 pm by renholding
 The upshot: so long as a defendant says what the SEC wants to hear (or says nothing at all), he does not violate the No-Admit-No-Deny Provision. [read post]
18 Dec 2019, 4:08 pm by INFORRM
Feeney J effectively held that the plaintiff was entitled to ordinary compensatory damages, but he failed to appreciate that such damages include damages for distress (Conway v Ireland [1991] 2 IR 305, 317, [1991] ILRM 497, 503 (Finlay CJ; Griffin J and McCarthy JJ concurring); Shortt v Commissioner of an Garda Síochána [2007] 4 IR 587, 612, [2007] IESC 9 (21 March 2007) [82] (Murray CJ), [2007] 4 IR 587,… [read post]
25 Jun 2008, 12:00 pm
The case that started this controversy was Amos v. [read post]
9 Mar 2007, 4:27 pm
For wage and hour attorneys, Wednesday's hearing in Murphy v. [read post]
7 Jun 2014, 5:38 am by Charles (Chuck) Rubin
    The recent jury verdict in the Zwerner case in Miami, Florida (U.S. v. [read post]
28 Jul 2021, 3:50 am by Kevin Kaufman
They also calculated that the tax gap over the next decade would equal $7.5 trillion.[11] Former IRS commissioner Charles Rossotti, an advocate of increased enforcement and information reporting, reached a similar conclusion, estimating that the 2019 tax gap was around $574 billion.[12] Current IRS commissioner Chuck Rettig’s offhand comment in April 2021 that the true tax gap could be $1 trillion generated a lot of attention.[13] Rettig pointed to increased… [read post]