Reports of the United States Tax Court, 122. sējumsUnited States Tax Court, 2004 |
No grāmatas satura
1.5. rezultāts no 62.
. lappuse
... Corporation 73 Forsythe , Gerald R. , Tax Matters Partner 295 Garrison , Warren D. and Debra W. 305 Greenberg ... Corporation 73 Sunoco , Inc. and Subsidiaries 88 Teiger , Joseph 378 The Charles Schwab Corporation and Subsidiaries 191 ...
... Corporation 73 Forsythe , Gerald R. , Tax Matters Partner 295 Garrison , Warren D. and Debra W. 305 Greenberg ... Corporation 73 Sunoco , Inc. and Subsidiaries 88 Teiger , Joseph 378 The Charles Schwab Corporation and Subsidiaries 191 ...
72. lappuse
... . 2000-15 , 2000-1 C.B. 447 , constitute an abuse of discretion by respondent . FOLEY , J. , agrees with this dissenting opinion . FLORIDA COUNTRY CLUBS , INC . , A FLORIDA CORPORATION 72 ( 32 ) 122 UNITED STATES TAX COURT REPORTS.
... . 2000-15 , 2000-1 C.B. 447 , constitute an abuse of discretion by respondent . FOLEY , J. , agrees with this dissenting opinion . FLORIDA COUNTRY CLUBS , INC . , A FLORIDA CORPORATION 72 ( 32 ) 122 UNITED STATES TAX COURT REPORTS.
73. lappuse
United States. Tax Court. FLORIDA COUNTRY CLUBS , INC . , A FLORIDA CORPORATION , SUNCOAST COUNTRY CLUBS , INC . , A ... corporations and two shareholders of those corporations , received letters of proposed deficiency with respect to ...
United States. Tax Court. FLORIDA COUNTRY CLUBS , INC . , A FLORIDA CORPORATION , SUNCOAST COUNTRY CLUBS , INC . , A ... corporations and two shareholders of those corporations , received letters of proposed deficiency with respect to ...
74. lappuse
... corporations.2 Respondent commenced an audit of FCC for the years 1993 and 1994 in December 1995 to examine , inter alia , certain claimed depreciation expenses and a possible understatement of gross receipts . In 1996 respondent ...
... corporations.2 Respondent commenced an audit of FCC for the years 1993 and 1994 in December 1995 to examine , inter alia , certain claimed depreciation expenses and a possible understatement of gross receipts . In 1996 respondent ...
116. lappuse
... corporation that had no stock outstanding that was readily tradable on an established securities mar- ket ... corporations , totaling $ 1,399,775 , which satisfied the requirements of section 1042 ( c ) ( 4 ) to be " qualified ...
... corporation that had no stock outstanding that was readily tradable on an established securities mar- ket ... corporations , totaling $ 1,399,775 , which satisfied the requirements of section 1042 ( c ) ( 4 ) to be " qualified ...
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abuse of discretion administrative costs affd allocable to medical amended amortization Appeals Office apply assessed bankruptcy basis carryback challenge Charles Schwab Corp claimed Commis Commissioner Commissioner's Congress corporation Court of Appeals customer accounts decision election entitled Federal income tax franchise tax Grigoraci Income Tax Regs income tax return intangible assets Interest Interest Internal Revenue Internal Revenue Code Internal Revenue Service issue judicial review jurisdiction legislative history levy loss deductions ment monthly service fees noncontract patient fees notice of deficiency notice of determination offer in compromise overpayment interest paid parties payment percentage method peti petition petitioner petitioner's expert procedures proceeding provides pursuant qualified offer refund relief from joint relief under section respect Respondent argues Rose's Rule sioner statutory summary judgment supra T.C. Memo Tax Court tax lien taxable taxpayer tion trial de novo underlying tax liability valuation Village West Wiwi