Overview of the Federal Tax System: Including Data on Tax and Revenue Measures Within the Jurisdiction of the Committee on Ways and MeansU.S. Government Printing Office, 1991 - 356 lappuses |
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1.5. rezultāts no 29.
16. lappuse
... refunds of $ 1,000,000 and over ( Code sec . 6405 ) . In addition , the Joint Committee has statutory authority to conduct post - audit reviews of large deficiency cases . In practice , the chief legislative function of the staff of the ...
... refunds of $ 1,000,000 and over ( Code sec . 6405 ) . In addition , the Joint Committee has statutory authority to conduct post - audit reviews of large deficiency cases . In practice , the chief legislative function of the staff of the ...
18. lappuse
... act primarily to proc- ess tax returns , certify refunds , and cooperate with the district of- fices in the examination of tax returns and the collection process . The district office is the level having the most contact 18.
... act primarily to proc- ess tax returns , certify refunds , and cooperate with the district of- fices in the examination of tax returns and the collection process . The district office is the level having the most contact 18.
23. lappuse
... refunds in Federal district court ; suits brought by individuals to foreclose mortgages or obtain quiet title to property on which there is a tax lien ; and challenges to the constitutionality or legality of IRS regu- lations or rulings ...
... refunds in Federal district court ; suits brought by individuals to foreclose mortgages or obtain quiet title to property on which there is a tax lien ; and challenges to the constitutionality or legality of IRS regu- lations or rulings ...
24. lappuse
... refund which was disallowed ( or on which the IRS did not take action within six months ) , the taxpayer may take the case to the U.S. dis- trict court or the U.S. Claims Court . If the taxpayer chooses not to pay the tax , the claim ...
... refund which was disallowed ( or on which the IRS did not take action within six months ) , the taxpayer may take the case to the U.S. dis- trict court or the U.S. Claims Court . If the taxpayer chooses not to pay the tax , the claim ...
26. lappuse
... taxpayer who has paid the tax and sues for a refund in the United States Court of Claims , however , may appeal only to the Court of Appeals for the Federal Circuit . PART II . SOURCES OF INFORMATION ABOUT FEDERAL TAXES Section 26.
... taxpayer who has paid the tax and sues for a refund in the United States Court of Claims , however , may appeal only to the Court of Appeals for the Federal Circuit . PART II . SOURCES OF INFORMATION ABOUT FEDERAL TAXES Section 26.
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additional adjusted gross income Administration Airport and Airway allocation amount appropriations benefits bill bonds Budget Reconciliation Act capital gains cents per gallon Code section conference report Congress December 31 dollars effective EITC employees enacted estimate ethanol fuels excise taxes Exclusion expenses expire Federal tax Finance Fiscal Year 1992 fuels taxes gift tax Government House imposed Internal Revenue Code Internal Revenue Service issue itemized deductions legislation marginal rate maximum ment million nays Omnibus Budget Reconciliation percent personal exemptions phaseout point of order programs Public Law qualified rates Tax receipts record vote refund Revenue Act Rostenkowski rule Senate amendment September 30 Sixteenth Amendment Social Security Source statutory Superfund TABLE Tax Court tax credit tax expenditures tax gap tax liability tax provisions tax rate Tax Reform Act tax system tax-exempt taxable income taxable wage taxpayer tion Total Treasury Unemployment wages yeas
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