Reports of the United States Tax Court, 116. sējumsUnited States Tax Court, 2001 |
No grāmatas satura
1.–5. rezultāts no 61.
xiv. lappuse
... employees today began their service when Judge Drennen was Chief Judge . The Court is cer- tainly a better place because of the good and competent peo- ple appointed by him . Not long after the Tax Reform Act of 1969 became law , our ...
... employees today began their service when Judge Drennen was Chief Judge . The Court is cer- tainly a better place because of the good and competent peo- ple appointed by him . Not long after the Tax Reform Act of 1969 became law , our ...
80. lappuse
... employees served in the field as installers . Petitioner , a superintendent , an estimator , and an office manager operated out of the busi- ness office . 2 The company was initially operated as a partnership between petitioner and an ...
... employees served in the field as installers . Petitioner , a superintendent , an estimator , and an office manager operated out of the busi- ness office . 2 The company was initially operated as a partnership between petitioner and an ...
81. lappuse
... employee's paycheck . Each time petitioner notified Ms. Gerber that a worker was to be paid in cash , he instructed her that the worker was to be issued a Form 1099 to reflect the payment . Petitioner believed that the issuance of a ...
... employee's paycheck . Each time petitioner notified Ms. Gerber that a worker was to be paid in cash , he instructed her that the worker was to be issued a Form 1099 to reflect the payment . Petitioner believed that the issuance of a ...
83. lappuse
... employees of $ 353,172 , total taxable wages of $ 176,286 , and a FUTA tax liability of $ 1,410 . Petitioner was current in payment of his employment tax obligations listed on the above - described returns . Over the course of 1992 ...
... employees of $ 353,172 , total taxable wages of $ 176,286 , and a FUTA tax liability of $ 1,410 . Petitioner was current in payment of his employment tax obligations listed on the above - described returns . Over the course of 1992 ...
84. lappuse
... employees of the company for purposes of Fed- eral employment taxes under Subtitle C , Employment Taxes and Collection of Income Tax , of the Internal Revenue Code , and ( 2 ) petitioner was not entitled to " safe harbor " relief pro ...
... employees of the company for purposes of Fed- eral employment taxes under Subtitle C , Employment Taxes and Collection of Income Tax , of the Internal Revenue Code , and ( 2 ) petitioner was not entitled to " safe harbor " relief pro ...
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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