Reports of the United States Tax Court, 126. sējumsThe Court, 2006 |
No grāmatas satura
1.–5. rezultāts no 90.
1. lappuse
... respect to her 1992 account . After the petition was filed , P's 1992 balance due was eliminated by R's offset of P's 1999 overpayment , pursuant to sec . 6402 ( a ) , I.R.C. P amended her petition in the Tax Court , seeking an ...
... respect to her 1992 account . After the petition was filed , P's 1992 balance due was eliminated by R's offset of P's 1999 overpayment , pursuant to sec . 6402 ( a ) , I.R.C. P amended her petition in the Tax Court , seeking an ...
3. lappuse
... respect to her 1992 tax year . On the Form 12153 , petitioner complained that the balance shown on respondent's Form CP 504 included erro- neous penalties and interest accruals . On January 9 , 2001 , respondent issued petitioner a ...
... respect to her 1992 tax year . On the Form 12153 , petitioner complained that the balance shown on respondent's Form CP 504 included erro- neous penalties and interest accruals . On January 9 , 2001 , respondent issued petitioner a ...
4. lappuse
... respect to the issue of whether peti- tioner was afforded the opportunity for an Appeals Office administrative hearing under sections 6320 and 6330. By Order dated February 25 , 2003 , this Court granted respond- ent's motion for ...
... respect to the issue of whether peti- tioner was afforded the opportunity for an Appeals Office administrative hearing under sections 6320 and 6330. By Order dated February 25 , 2003 , this Court granted respond- ent's motion for ...
5. lappuse
... respect to her 1992 taxable year should proceed . She also challenged her liability for the 1992 deficiency and asso- ciated interest on the ground that respondent had failed to make timely notice and demand for payment . Discussion ...
... respect to her 1992 taxable year should proceed . She also challenged her liability for the 1992 deficiency and asso- ciated interest on the ground that respondent had failed to make timely notice and demand for payment . Discussion ...
6. lappuse
... respect to *** [ petitioner's ] 1992 tax liability " . Accordingly , respondent contends that this case should be dismissed as moot.9 For the reasons described below , we agree . The Tax Court is a court of limited jurisdiction ; we may ...
... respect to *** [ petitioner's ] 1992 tax liability " . Accordingly , respondent contends that this case should be dismissed as moot.9 For the reasons described below , we agree . The Tax Court is a court of limited jurisdiction ; we may ...
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9th Cir adjustments Admin administrative affd amended amount Anglo-Am Antarctica Appeals officer apply assessment Brand X capital loss Chevron claim closing agreement coal Commis Commissioner community property laws computation Congress conservation easement Court of Appeals December 31 deficiency notice Direct Tea Trading disputed regulations election entitled Fairfax County Federal income tax Federal tax foreign corporation GATT rate Grist Mill property gross income hearing Income Tax Regs income tax return Internal Revenue Code Internal Revenue Service interpretation issue jurisdiction Lee Ranch legislative history levy LIFO limited majority mark-to-market ment method of accounting Natl notice of determination ous payment 99.00 overpayment interest parties petition petitioner petitioner's Planegger Proced provides real property reasonable refund relevant text relief Rept request respondent respondent's Revenue Act rule Secretary section 233 sioner spouse Stat statute statutory Subsequent miscellane supply contracts supra T.C. Memo Tax Court tax lien taxpayer tion United Zapara