Search for: "Case v. Commissioner of Internal Revenue" Results 81 - 100 of 747
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30 Dec 2008, 9:00 pm
Kantor v Commissioner of Internal Revenue - The issue for decision in this case was whether the taxpayer  was entitled under section 475(f) to use the mark-to-market method of accounting in connection with his business as a securities trader. [read post]
22 Oct 2007, 1:29 am
Golden et ux., v Commissioner, TC Memo 2007-299, October 8, 2007"Tax intercepts caused my most common experiences with innocent spouse issues. [read post]
28 Feb 2012, 6:16 am by Laura Sandwell, Matrix.
Test Claimants in the Franked Investment Income Group Litigation v Commissioners of Inland Revenue and anor continues this week in the Supreme Court from Monday until Wednesday, and is being heard by a panel of seven (L Hope, L Walker, L Dyson, L Brown, L Clarke, L Sumption and L Reed). [read post]
6 May 2024, 9:17 pm by Hyland Hunt
Commissioner of Internal Revenue, No. 23-1179, where the court (Judge Pillard writing) held that the IRS can assess and administratively collect penalties for failure to file information returns regarding ownership of foreign businesses. [read post]
16 Apr 2013, 4:00 pm by Cyrus Farivar
On Tuesday morning, the Internal Revenue Service’s acting commissioner, Steven Miller, told a Senate committee that as far as he knows, the IRS has never obtained e-mails without a warrant. [read post]
6 Sep 2018, 12:43 pm by Ettinger Law Firm
Commissioner of Internal Revenue, taxation of the sale of two 17th-century Old Master paintings was contested in federal tax court. [read post]
26 Apr 2022, 3:08 pm by Geoff Schweller
Tax Court erred in its ruling on a Internal Revenue Service (IRS) whistleblower award case because it failed to provide a de novo review of the case. [read post]
17 May 2012, 2:00 am by Keith Paul Bishop
  The underlying fight was about a tax deficiency, but the legal question was whether the Internal Revenue Service could adopt a regulation that effectively overruled a prior U.S. [read post]
23 Jun 2011, 4:51 am
The Tax Court found it lacked jurisdiction because Terrell filed her petition more than ninety days after the Commissioner of Internal Revenue (“Commissioner”) sent her a Notice of Final Determination (“Notice”). [read post]