Search for: "Tax Reform Research Group v. IRS" Results 1 - 20 of 27
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3 Feb 2014, 8:19 am
Since the ACA cuts a swath across so many traditional practice groups, the WK product was built to support lawyers practicing health, benefits, tax , labor or insurance law. [read post]
14 Apr 2020, 6:00 am by Kevin Kaufman
 The CTC and ACTC primarily benefited taxpayers in the $50,000 to $200,000 income groups in 2017 (see Table 2). [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]
29 Apr 2016, 9:49 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]
23 Jun 2020, 5:50 am by Kevin Kaufman
This paper’s objective is to lay out various options to address second-earner penalties within the tax code, without recommending a specific policy reform as the only solution to the debate. [read post]
19 Sep 2017, 10:38 am by dawn
This could lead investors and researchers alike to think that Google either shut down many of its tax haven subsidiaries or consolidated them into one. [read post]
10 Jan 2013, 1:21 pm by Cynthia Marcotte Stamer
 The Preamble to the Regulations states that the IRS views retiree-only plans and COBRA coverage subject to the tax imposed under Code § 4375 and plan sponsors may be required to pay the tax under Code § 4376. [read post]
18 Dec 2019, 4:00 pm
The IRS sends letters – known as “Letter 226-J” – informing employers that they owe a penalty based on information the employer provided on Forms 1094 and 1095-C, information employees provided on individual income tax returns, and information the insurance exchanges provide regarding eligibility for subsidies. [read post]
30 Dec 2018, 3:03 am by Ben
 In March, new research showed that music and football right holders had brought the most cases to London's High Court in the preceding year. [read post]
4 Jul 2018, 1:30 pm by Matthew Scott Johnson
Camp’s articles–The Failure of Adversarial Process in the Administrate State and Tax Administration as Inquisitorial Process and The Partial Paradigm Shift in the IRS Restructuring and Reform Act of 1998–are cited in the following article: Susannah Camic Tahk, The New Welfare Rights, 83 Brook. [read post]
15 Dec 2017, 9:01 am by CFM Admin
  As we prepare for a new year, we also reflect on an eventful 2017 year that included the emergence of a new asset class, a steady upswing in the stock market, and proposed legislation to revise the United States tax code. [read post]