Search for: "Power v. Internal Revenue Service" Results 141 - 160 of 824
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5 May 2015, 9:02 am by WIMS
 Electric Power Supply Association, et al – Supreme Court Docket Electric Power Supply Asso. v. [read post]
5 Apr 2024, 6:01 am by Aaron Mackey
This post was co-written by EFF legal intern Melda Gurakar. [read post]
28 Dec 2018, 4:04 pm
§ 5321(a)(5) (2004) that currently are before the United States Court of Appeals for the Federal Circuit in a pending appeal: (1) whether the Internal Revenue Service (“IRS”) must establish that a taxpayer had knowledge of the legal duty under federal tax law to report foreign bank accounts, but acted in “reckless disregard” of that duty, before it may impose a civil penalty for a willful violation of 31 U.S.C. [read post]
30 Jun 2023, 7:57 am
S. 473 (2015), we declined to defer to the Internal Revenue Service’s interpretation of a healthcare statute, explaining that the provision at issue affected “billions of dollars of spend- ing each year and . . . the price of health insurance for millions of people. [read post]
29 Mar 2015, 9:01 pm by Ronald D. Rotunda
This issue is peculiarly significant because the agency doing the redefining is the Internal Revenue Service. [read post]
25 Feb 2017, 8:14 am by Kelly Phillips Erb
That office – now called the Commission of the Internal Revenue Service – is responsible for overseeing collections of tax paid in – you guessed it – legal tender, including coins and currency. [read post]
19 Nov 2013, 7:04 pm by Mary Pat Dwyer
§ 522, which exempts "retirement funds to the extent that those funds are in a fund or account that is exempt from taxation" under certain provisions of the Internal Revenue Code. [read post]
2 Dec 2010, 8:55 am by Lewis Gainor
For example, during an investigation or tax audit, the Internal Revenue Service has authority to issue summonses for production of financial records. [read post]
26 Jun 2017, 11:52 am by John Elwood
United States, 16-1144 Issue: Whether a conviction under 26 U.S.C. 7212(a) for corruptly endeavoring to obstruct or impede the due administration of the tax laws requires proof that the defendant acted with knowledge of a pending Internal Revenue Service action. [read post]
8 Jan 2016, 11:43 am by Kenneth Vercammen Esq. Edison
After the filing of the returns and payment of taxes, the Internal Revenue Service will generally send some type of estate closing letter accepting the return. [read post]
3 Feb 2020, 2:13 pm by Kevin Kaufman
There are powerful changes that can be made within the corporate tax code that will make Kansas more competitive and unlock the state’s economic growth. [read post]