Reports of the United States Tax Court, 116. sējumsUnited States Tax Court, 2001 |
No grāmatas satura
1.–5. rezultāts no 100.
xii. lappuse
... opinions because he believed , as we all should , that justice delayed is justice denied . During that period he heard ... opinion in Southern Pacific Transportation Co. ( 75 T.C. 497 ) , which fills half of volume 75 of the Tax Court ...
... opinions because he believed , as we all should , that justice delayed is justice denied . During that period he heard ... opinion in Southern Pacific Transportation Co. ( 75 T.C. 497 ) , which fills half of volume 75 of the Tax Court ...
xiv. lappuse
... opinion upholding the constitutionality of our Arti- cle I status and jurisdiction . There was also a concurring opinion by Judge Raum that supported the views of the majority . Of course there were no dissents . No Judge looked forward ...
... opinion upholding the constitutionality of our Arti- cle I status and jurisdiction . There was also a concurring opinion by Judge Raum that supported the views of the majority . Of course there were no dissents . No Judge looked forward ...
1. lappuse
... OPINION FOLEY , Judge : By notice dated July 28 , 1998 , respondent determined deficiencies of $ 52,073 , $ 709,939 , and $ 161,037 relating to petitioner's 1994 , 1995 , and 1996 Federal income taxes , respectively . The parties ...
... OPINION FOLEY , Judge : By notice dated July 28 , 1998 , respondent determined deficiencies of $ 52,073 , $ 709,939 , and $ 161,037 relating to petitioner's 1994 , 1995 , and 1996 Federal income taxes , respectively . The parties ...
5. lappuse
... OPINION VASQUEZ , Judge : This matter is presently before the Court on petitioners ' motion to dismiss for lack of jurisdiction . In the event petitioners ' motion to dismiss is not granted , the parties have filed cross - motions for ...
... OPINION VASQUEZ , Judge : This matter is presently before the Court on petitioners ' motion to dismiss for lack of jurisdiction . In the event petitioners ' motion to dismiss is not granted , the parties have filed cross - motions for ...
22. lappuse
... 155 . 14 To the extent not discussed in this opinion , we find petitioners ' arguments in favor of a con- trary holding to lack merit . AMERICAN AIR LIQUIDE , INC . AND SUBSIDIARIES , PETITIONER 22 ( 5 ) 116 UNITED STATES TAX COURT REPORTS.
... 155 . 14 To the extent not discussed in this opinion , we find petitioners ' arguments in favor of a con- trary holding to lack merit . AMERICAN AIR LIQUIDE , INC . AND SUBSIDIARIES , PETITIONER 22 ( 5 ) 116 UNITED STATES TAX COURT REPORTS.
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