Search for: "Bryan Camp" Results 21 - 40 of 422
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13 Oct 2008, 5:29 am
Bryan Camp (Texas Tech University - School of Law) has posted A Brief Analysis of Governor Palin's Tax Returns for 2006 and 2007 on SSRN. [read post]
23 Feb 2012, 11:00 am by Paul Caron
Bryan Camp (Texas Tech) presents Taxation of Electronic Gaming at San Diego today as part of its Tax Law Speaker Series: This paper examines the practical relationship between income and consumption in the context of electronic gaming, which I define as wagers made using some electronic accounting device, either in... [read post]
7 Sep 2007, 11:00 am
Bryan Camp (Texas Tech) has published Tax Effect of Tax Return Preparer Fraud on the Assessment Limitation Period, 116 Tax Notes 687 (Aug. 20, 2007). [read post]
24 Oct 2007, 2:30 am
Bryan Camp (Texas Tech) gave a guest lecture yesterday on the taxation of virtual world activity for Robert Bloomfield's Metanomics 101 class at the Cornell University Johnson School of Business: I gave the presentation in Second Life. [read post]
15 Aug 2018, 1:00 am by Paul Caron
Bryan Camp (Texas Tech), Equitable Principles and Jurisdictional Time Periods, Part 2, 159 Tax Notes 1581 (June 11, 2018): This is the second of two articles looking at the relationship of equitable doctrines and time limits in the Tax Code. [read post]
19 Apr 2018, 10:00 am by Paul Caron
Bryan Camp (Texas Tech), A New in Camera Review Requirement for Summons Proceedings? [read post]
6 Aug 2019, 3:00 am by Paul Caron
Bryan Camp (Texas Tech), The Sharp Corners of ACA Premium Tax Credit Provisions, 163 Tax Notes 2001 (June 24, 2019): The Tax Court has started issuing more and more opinions dealing with disputes over the proper application of the Premium Tax Credit Provisions in §36B. [read post]
10 Oct 2017, 4:00 am by Paul Caron
IRS, by Bryan Camp (Texas Tech): This is a follow-up to some good blogs on a recent decision by the District Court for the Western District of Texas in Chamber of Commerce v. [read post]
7 Feb 2019, 12:05 pm by Paul Caron
Bryan Camp (Texas Tech), New Thinking About Jurisdictional Time Periods in the Tax Code: Tax law is notoriously insular. [read post]
15 Apr 2015, 12:45 am by Paul Caron
Bryan Camp (Texas Tech), Overlooked Costs of IRS Budget Cuts Will Hit Taxpayers Hardest: The Internal Revenue Service takes a lot of hits, both from those who are paid to be critics like the National Taxpayer Advocate and from those who just pile on for the fun of it –... [read post]
3 Jul 2007, 11:09 pm
Bryan Camp (Texas Tech University - School of Law) has posted The Failure of Adversary Process in the Administrative State on SSRN. [read post]
2 Nov 2018, 8:55 am by Nonprofit Blogger
Bryan Camp (Texas Tech) has written a TaxProf Blog post commenting on an interesting case out of the U.S. [read post]
7 Jan 2020, 3:00 am by Paul Caron
Bryan Camp (Texas Tech), Lesson From The Tax Court: Taxpayer’s Shell Game Defeats IRS Bryan Camp (Texas Tech), Lesson From The Tax Court: Know The Difference Between IRAs And 401(k)s Bryan Camp (Texas Tech), Lesson From The Tax Court: Murphy’s Law Of Mailing Bryan Camp (Texas Tech), Lesson From The... [read post]
6 Jan 2021, 2:00 am by Paul Caron
Bryan Camp (Texas Tech), Lesson From The Tax Court: Receipts Are Not Enough Bryan Camp (Texas Tech), Lesson From The Tax Court: Losing Gambler Gets Twice Lucky In Tax Court Bryan Camp (Texas Tech), Lesson From The Tax Court: IRS Automated Matching Program Not An 'Examination' Bryan Camp (Texas Tech),... [read post]
3 Jul 2009, 1:00 am
Bryan Camp (Texas Tech) has published Protecting Trust Assets from the Federal Tax Lien, 1 Est. [read post]
8 Oct 2008, 6:00 pm
I previously blogged the forthcoming article by Bryan Camp (Texas Tech), The Problem of Adversarial Process in the Administrative State, 83 Ind. [read post]
26 Mar 2009, 9:46 am
Bryan Camp (Texas Tech University - School of Law) has posted The Never Ending Battle on SSRN. [read post]
13 Oct 2017, 1:30 am by Paul Caron
Bryan Camp (Texas Tech), Equitable Principles and Jurisdictional Time Periods, Part 1, 156 Tax Notes 1397 (Sept. 11, 2017): Like other federal courts, the Tax Court is very, very cautious about not overstepping its Congressionally-given bounds. [read post]