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17 Jan 2022, 1:21 am by Matrix Legal Support Service
On Wednesday 19th January, the court will hear the case of Stanford International Bank Ltd (in liquidation) v HSBC Bank PLC. [read post]
15 Jan 2022, 7:36 am by Susan C. Morse
Commissioner of Internal Revenue, most justices seemed prepared to allow consideration of “equitable tolling” in tax collection due process cases – so long as a decision is written narrowly and does not spill over to support equitable tolling for other tax deadlines. [read post]
Commissioner of Internal Revenue, a case concerning the time limit to file petitions with the US Tax Court to review Internal Revenue Service (IRS) determinations. [read post]
5 Jan 2022, 9:29 am by ernst
  Soon after World War I, a committee of the National Conference of Commissioners on Uniform State Laws started work on a model statute. [read post]
30 Dec 2021, 6:00 am by Geoff Schweller
In 2021, the Internal Revenue Service (IRS) Whistleblower Program did not draw the same attention as other whistleblower reward programs. [read post]
2 Dec 2021, 2:55 am by Kevin Kaufman
Growing cigarette tax differentials have made cigarette smuggling both a national problem and, in some cases, a lucrative criminal enterprise. [read post]
18 Nov 2021, 7:00 am by Amy Howe
Commissioner of Internal Revenue (Jan. 12): Whether the 30-day time limit to file a petition for review in the U.S. [read post]
15 Nov 2021, 8:40 am by skelly
The evolution of sophisticated “insurtech” managing general agents requiring fronting insurance company relationships has also driven the demand for more creative, international reinsurance solutions. [read post]
31 Oct 2021, 5:45 pm by INFORRM
” Media Law in Other Jurisdictions Australia In the case of Nassif v Seven Network [2021] FCA 1286. [read post]
6 Oct 2021, 6:41 pm by Shannon O'Hare
In many (but not all) cases, the owner of the digital file is the same person who creates the NFT. [read post]
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]
1 Oct 2021, 10:01 am by Adam Steinman
Commissioner of Internal Revenue presents the following question: Section 6330(d)(1) of the Internal Revenue Code establishes a 30-day time limit to... [read post]
30 Sep 2021, 9:13 am by Amy Howe
Commissioner of Internal Revenue, the justices will weigh in on whether the 30-day time limit to file a petition for review in the Tax Court of a notice from the IRS is a jurisdictional requirement – so that the Tax Court lacks the power to review the petition when it is filed late – or instead can be extended when circumstances warrant. [read post]
25 Aug 2021, 2:57 pm by Unknown
Commissioner of Internal Revenue (Per Capita Payments; Taxation) Eight petitions for certiorari were filed on 8/16/21:Oklahoma v. [read post]
16 Aug 2021, 4:53 am by Peter J. Sluka
Commissioner of the Internal Revenue, 69 TCM 2852 [1995]), the company argued, the reality that such control would vanish in a hypothetical sale must also be considered. [read post]
12 Aug 2021, 8:38 am by Rachel Howie
[1] Cortec Mining Kenya Limited, Cortec (PTY) Limited, and Stirling Capital Limited v Republic of Kenya, ICSID Case No. [read post]