Search for: "GROSS INTERNATIONAL CORPORATION" Results 81 - 100 of 1,380
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26 Apr 2012, 6:36 am by Joe Kristan
Overstating basis isn’t understating gross income, rules the Supreme Court. [read post]
7 Jun 2021, 12:22 pm by Daniel Shaviro
It is presumably to be applied by the multinationals' residence countries - requiring a uniform definition of corporate residence? [read post]
2 Mar 2012, 10:06 am by Corporate Action Network
To exclude such a defendant from responsibility under the ATS would foreclose one of the few paths for redress for corporate involvement in gross violations of human rights in order to protect one of the richest corporate persons in the world. [read post]
11 Dec 2023, 1:18 pm by Holly
That means a Virginia corporation, LLC, or LP is a Reporting Company under the CTA, but a Virginia general partnership is not. [read post]
11 May 2021, 2:55 am by Kevin Kaufman
Data on statutory tax rates, as well as effective corporate income tax rates calculated from statutory tax rates and various factors determining the corporate tax base, is readily available from international organizations such as the OECD. [read post]
4 Jun 2019, 10:08 am by Gail Whittemore
Marples, Issues in International Corporate Taxation: The 2017 Revision (P.L. 115-97) (May 1, 2018)   [read post]
3 May 2022, 1:55 am by Kevin Kaufman
The tax burden on corporate investment consists of the statutory tax rate and structural elements of the corporate tax code such as deductions and credits. [read post]
23 Oct 2020, 3:28 am by Jim Walker
Many people were concerned with the meager financial penalty levied by the Court, particularly because Carnival collected over $3,200,000,000 in profits from over $20,000,000,000 in gross revenue in 2019. [read post]
21 Feb 2012, 9:00 pm
The Internal Revenue Service (IRS) has to spend resources monitoring and enforcing the rules. [read post]
12 Apr 2017, 1:58 pm
THE ACADEMIC COMMITTEE: Badi Hasisi, Deborah Housen-Couriel, Eldar Haber, Guy Harpaz, Guy Pessach, Itamar Mann, Michal Shur Ofry, Niva Elkin-Koren, Oren Gross, Simon Perry, Tal Zarsky, Tamar Berenblum and Yuval Shany [read post]
6 Nov 2017, 12:06 pm by Matthew D. Lee
Corporate Direct (Section 901) Foreign Tax Credit (“FTC”) Domestic corporate taxpayers may elect to take a credit for foreign taxes paid or accrued in lieu of a deduction. [read post]
20 Dec 2021, 11:32 am by Robbie Kenney
“The establishment of new businesses, corporate growth, and new job opportunities will more than compensate for the deductions with revenue for the state. [read post]
6 Dec 2021, 12:22 pm by Robbie Kenney
“We would see the development of new businesses, corporate expansion, and the formation of job opportunities that will more than make up for any revenue for the state. [read post]
6 Dec 2018, 6:43 am
According to Resolution 26/9, the Working Group has the mandate to: “elaborate an international legally binding instrument to regulate, in international human rights law, the activities of transnational corporations and other business enterprises. [read post]
29 Mar 2011, 7:53 am
 Under Section 118(a) of the Internal Revenue Code, the gross income of a corporation does not include non-shareholder capital contributions. [read post]
28 Oct 2011, 3:00 am by Larry Bodine
Law firms and corporations are still not focusing enough attention on creating efficiencies in internal processes, according to Beth Anisman, a consultant with B&Co. and former Global Chief Administrative Officer for Legal of Lehman Brothers. [read post]
19 Dec 2018, 3:00 am by Kevin Kaufman
Consideration of gross receipts taxes continue as corporate income tax revenues decline, though concerns about their economic effects have generally helped stave off their adoption. [read post]
25 Jan 2007, 2:10 pm
(The two US plaintiffs’ firms acting as lead counsel in that case are Pomerantz Haudek Block Grossman & Gross LLP and Berger & Montague PC.) [read post]