Reports of the United States Tax Court, 116. sējumsUnited States Tax Court, 2001 |
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1.–5. rezultāts no 100.
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United States. Tax Court. SOTA ཐ །། * །། JUDGES AND SENIOR JUDGES JUDGES OF THE UNITED STATES TAX COURT HERBERT L. CHABOT. WISCONS 10 HJ GRAD Y. 116 H261 Seated from left - Mary Ann Cohen , Carolyn Miller Parr , Howard A. Dawson , Jr ...
United States. Tax Court. SOTA ཐ །། * །། JUDGES AND SENIOR JUDGES JUDGES OF THE UNITED STATES TAX COURT HERBERT L. CHABOT. WISCONS 10 HJ GRAD Y. 116 H261 Seated from left - Mary Ann Cohen , Carolyn Miller Parr , Howard A. Dawson , Jr ...
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United States. Tax Court. JUDGES OF THE UNITED STATES TAX COURT HERBERT L. CHABOT MARY ANN COHEN STEPHEN J. SWIFT JOEL GERBER ROBERT P. RUWE LAURENCE J. WHALEN JOHN O. COLVIN JAMES S. HALPERN Chief Judge THOMAS B. WELLS Judges RENATO ...
United States. Tax Court. JUDGES OF THE UNITED STATES TAX COURT HERBERT L. CHABOT MARY ANN COHEN STEPHEN J. SWIFT JOEL GERBER ROBERT P. RUWE LAURENCE J. WHALEN JOHN O. COLVIN JAMES S. HALPERN Chief Judge THOMAS B. WELLS Judges RENATO ...
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United States. Tax Court. public and private organizations , should honor their heroes if they expect to endure . So it is today that the United States Tax Court honors one of its heroes , Judge William M. Drennen . I shall tell you why ...
United States. Tax Court. public and private organizations , should honor their heroes if they expect to endure . So it is today that the United States Tax Court honors one of its heroes , Judge William M. Drennen . I shall tell you why ...
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United States. Tax Court. Mr. Katz in his individual capacity . Respondent has filed a cross - motion for summary judgment with respect to this issue . We begin with petitioners ' jurisdictional argument . A. Petitioners ' Motion To ...
United States. Tax Court. Mr. Katz in his individual capacity . Respondent has filed a cross - motion for summary judgment with respect to this issue . We begin with petitioners ' jurisdictional argument . A. Petitioners ' Motion To ...
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United States. Tax Court. We must decide whether royalties received by petitioner , a domestic corporation , from its foreign parent should be classified as section 904 ( d ) ( 1 ) ( A ) passive income or as section 904 ( d ) ( 1 ) ( I ) ...
United States. Tax Court. We must decide whether royalties received by petitioner , a domestic corporation , from its foreign parent should be classified as section 904 ( d ) ( 1 ) ( A ) passive income or as section 904 ( d ) ( 1 ) ( I ) ...
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9th Cir ACC's acquired acquisition affd agreement Alcon P.R. allocation amount annuity applicable Avitene AVLP Bank bankruptcy bankruptcy estate benefits capital asset capital expenditures claim clubhouse Commissioner Congress corporation costs Court of Appeals decedent deduction election employees entrance fee escrow exit fee expenses fact FDIC Federal income tax filed gross income Humacao Idaho Power Co Income Tax Regs income tax return incurred INDOPCO information return insolvent installment contracts Insurance Fund Internal Revenue Code Internal Revenue Service issue Judge Drennen Kirby Lumber Co limited partnership interest loans manufacturing MedChem P.R. MedChem U.S.A. ment Metrobank notice of deficiency overhead paid parties partner payment percent period peti petition petitioner's petitioners provides Puerto Rico purchase purposes relief reported respondent's Rule SAIF salaries sioner Stat stipulated supra T.C. Memo Tax Court taxable taxpayer tion trade or business transaction transferred Vetrano Woburn