Reports of the United States Tax Court, 126. sējumsThe Court, 2006 |
No grāmatas satura
1.–5. rezultāts no 35.
7. lappuse
... would nevertheless conclude , for the reasons discussed supra , that we lack authority to consider this matter pursuant to sec . 6330 . a collection action that is subject to review in this ( 1 ) བ GREENE - THAPEDI v . COMMISSIONER 7.
... would nevertheless conclude , for the reasons discussed supra , that we lack authority to consider this matter pursuant to sec . 6330 . a collection action that is subject to review in this ( 1 ) བ GREENE - THAPEDI v . COMMISSIONER 7.
10. lappuse
... discussed infra , this situation changed in 1996 , with the enactment of sec . 6404 ( h ) ( as currently designated ) , by the Taxpayer Bill of Rights 2 , Pub . L. 104-168 , sec . 302 ( a ) , 110 Stat . 1457 ( 1996 ) . This Court has ...
... discussed infra , this situation changed in 1996 , with the enactment of sec . 6404 ( h ) ( as currently designated ) , by the Taxpayer Bill of Rights 2 , Pub . L. 104-168 , sec . 302 ( a ) , 110 Stat . 1457 ( 1996 ) . This Court has ...
11. lappuse
... discussed below , this conclusion is reinforced by the absence in section 6330 of the traditional statutory limitations on the allowance of refunds or credits of taxes . Section 6511 contains detailed limitations on the allowance of tax ...
... discussed below , this conclusion is reinforced by the absence in section 6330 of the traditional statutory limitations on the allowance of refunds or credits of taxes . Section 6511 contains detailed limitations on the allowance of tax ...
13. lappuse
... ministerial " acts , effective for interest accruing on deficiencies for taxable years beginning after July 30 , 1996 ) . For the reasons discussed , we shall dismiss this case ( 1 ) 13 GREENE - THAPEDI v . COMMISSIONER.
... ministerial " acts , effective for interest accruing on deficiencies for taxable years beginning after July 30 , 1996 ) . For the reasons discussed , we shall dismiss this case ( 1 ) 13 GREENE - THAPEDI v . COMMISSIONER.
14. lappuse
United States. Tax Court. For the reasons discussed , we shall dismiss this case as moot . An appropriate order of dismissal will be entered . Reviewed by the Court . GERBER , COHEN , WELLS , HALPERN , CHIECHI , LARO , GALE , HAINES ...
United States. Tax Court. For the reasons discussed , we shall dismiss this case as moot . An appropriate order of dismissal will be entered . Reviewed by the Court . GERBER , COHEN , WELLS , HALPERN , CHIECHI , LARO , GALE , HAINES ...
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