Search for: "Long v. Commissioner of IRS"
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14 Sep 2015, 6:15 am
(Photo by Gabriella Demczuk/Getty Images) Last year, Internal Revenue Service (IRS) Commissioner John Koskinen announced the Annual Filing Season Program, a voluntary and temporary program intended to fill the holes left after the IRS lost the right to regulate tax preparers following Loving v. [read post]
1 Sep 2015, 6:12 am
Comm’r v. [read post]
11 Aug 2015, 5:46 am
See, Kaplan v. [read post]
11 Aug 2015, 5:46 am
See, Kaplan v. [read post]
11 Aug 2015, 5:46 am
See, Kaplan v. [read post]
11 Aug 2015, 5:46 am
See, Kaplan v. [read post]
11 Aug 2015, 5:46 am
See, Kaplan v. [read post]
11 Aug 2015, 5:46 am
See, Kaplan v. [read post]
9 Aug 2015, 9:30 pm
Circuit Court of Appeals, in a case called Loving v. [read post]
12 Jul 2015, 5:34 pm
Since the IRS is not a party to this proceeding and in any event would not be bound by any determination of this court under Commissioner v. [read post]
7 Jul 2015, 4:44 pm
One of the more famous cases on the matter, Konchar v. [read post]
25 Mar 2015, 7:26 am
Commissioner, in which the IRS succeeded in requiring a taxpayer to treat the receipt of a profits interest in exchange for services as a taxable event. [read post]
16 Mar 2015, 6:00 am
Although formal segregation has long been dismantled, it is no secret that enduring residential segregation in Miami leads to enduring school segregation, a reality reflected in the racial makeup of schools in the controlled choice boundary for Coral Gables. [read post]
21 Jan 2015, 1:49 pm
Commissioner, 140 T.C. [read post]
30 Dec 2014, 6:30 am
Supreme Court (in Clark v. [read post]
14 Jul 2014, 1:32 pm
Statement of IRS Commissioner Describing New Streamlined Procedures. [read post]
27 Jun 2014, 7:22 am
If you’re scratching your head after Loving v. [read post]
7 Jun 2014, 5:38 am
The recent jury verdict in the Zwerner case in Miami, Florida (U.S. v. [read post]
12 Mar 2014, 6:30 am
Practitioners have long held this view, but apparently, the IRS and Treasury wanted to correct a First Circuit decision that is nearly 30 years old. [read post]
12 Mar 2014, 5:00 am
Practitioners have long held this view, but apparently, the IRS and Treasury wanted to correct a First Circuit decision that is nearly 30 years old. [read post]