Administration's Change in Federal Policy Regarding the Tax Status of Racially Discriminatory Private Schools: Hearing Before the Committee on Ways and Means, House of Representatives, Ninety-seventh Congress, Second Session, February 4, 1982U.S. Government Printing Office, 1982 - 703 lappuses |
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1.5. rezultāts no 100.
3. lappuse
... Procedure 75-50 . However , in 1976 , the adequacy of IRS's procedures for determining whether private schools discriminate in practice was challenged by the Green plaintiffs . In reaction to this suit , the IRS proposed a new revenue ...
... Procedure 75-50 . However , in 1976 , the adequacy of IRS's procedures for determining whether private schools discriminate in practice was challenged by the Green plaintiffs . In reaction to this suit , the IRS proposed a new revenue ...
13. lappuse
... procedure remained intact : " We are just saying do not go forwared with these broad [ IRS ] regulations or ... procedures for the IRS to deny the tax exempt status of schools which discriminate . . . [ The riders ] preserve the ...
... procedure remained intact : " We are just saying do not go forwared with these broad [ IRS ] regulations or ... procedures for the IRS to deny the tax exempt status of schools which discriminate . . . [ The riders ] preserve the ...
18. lappuse
... procedures must not be abrogated , disregarded , or circumvented , Be it resolved , as expressing the sense of the House of Representatives and of the Senate of the United States : 1. That the Executive Branch should be censured for ...
... procedures must not be abrogated , disregarded , or circumvented , Be it resolved , as expressing the sense of the House of Representatives and of the Senate of the United States : 1. That the Executive Branch should be censured for ...
19. lappuse
... procedures for obtaining information from schools that claimed such exemptions as to their actual practices with respect to admission of minority students . In every one of those instances , with all of this attention given to the ...
... procedures for obtaining information from schools that claimed such exemptions as to their actual practices with respect to admission of minority students . In every one of those instances , with all of this attention given to the ...
22. lappuse
... procedures . In 1978 and 1979 , the Internal Revenue Service proposed a series of guidelines that were intended to ... procedure 75-50 would be in effect . " So on all these counts , we have every indication that Congress was aware of ...
... procedures . In 1978 and 1979 , the Internal Revenue Service proposed a series of guidelines that were intended to ... procedure 75-50 would be in effect . " So on all these counts , we have every indication that Congress was aware of ...
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action administration administration's admissions policy Ashbrook Amendment Attorney August 22 basis of race believe Bob Jones University certiorari Chairman ROSTENKOWSKI charitable contributions Committee common law Cong Congress congressional Connally constitutional court of appeals decision declaratory judgment deductible deny tax exemptions deny tax-exempt status Department of Justice discriminatory private schools district court EGGER enacted enforce exempt status federal filed Fourth Circuit Goldsboro Christian Schools grant Green injunction intent Internal Revenue Code Internal Revenue Service interpretation intervenors issue January Jones and Goldsboro Justice Department legislative history litigation MCNAMAR Mississippi petitioner position public policy purposes question racial discrimination racial segregation racially discriminatory private racially discriminatory schools RANGEL regulations religious Revenue Act revenue procedures Revenue Ruling REYNOLDS SCHMULTS Section 501 segregated segregated academies Senate Service's SHANNON Stat statement statutory Supp supra Supreme Court Tank Truck THROWER tion Treasury Department Trent Lott United violate Wallison
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672. lappuse - Subsequent legislation declaring the intent of an earlier statute is entitled to great weight in statutory construction. And here this principle is given special force by the equally venerable principle that the construction of a statute by those charged with Its execution should be followed unless there are compelling indications that it is wrong, especially when Congress has refused to alter the administrative construction.
639. lappuse - Are used to a substantial degree for purposes or functions other than those constituting...
91. lappuse - Charity' in its legal sense comprises four principal divisions: trusts for the relief of poverty; trusts for the advancement of education; trusts for the advancement of religion; and trusts for other purposes beneficial to the community, not falling under any of the preceding heads.
548. lappuse - ... Corporations, and any community chest, fund, or foundation, organized and operated exclusively for religious, charitable, scientific, testing for public safety, literary, or educational purposes, or for the prevention of cruelty to children or animals, no part of the net earnings of which inures to the benefit of any private shareholder or individual, no substantial part of the activities of which is carrying on propaganda, or otherwise attempting, to influence legislation, and which does not...
382. lappuse - Secretary or his delegate. * * * (c) Charitable contribution defined. For purposes of this section, the term "charitable contribution" means a contribution or gift to or for the use of...
545. lappuse - An organization may be educational even though it advocates a particular position or viewpoint so long as it presents a sufficiently full and fair exposition of the pertinent facts as to permit an individual or the public to form an independent opinion or conclusion.
289. lappuse - No part of the net earnings of which Inures to the benefit of any private shareholder or individual; and (D) No substantial part of the activities of which is carrying on propaganda, or otherwise attempting to Influence legislation.
533. lappuse - This opinion will be certified to the Secretary of the Treasury, the Secretary of Agriculture, and the Secretary of Commerce and Labor to prepare the regulation in accordance herewith under the pure food law and to the Secretary of the Treasury and the Commissioner of Internal Revenue to prepare the proper regulation under the internal revenue law.
567. lappuse - ... organized and operated exclusively for the mutual benefit of their members, nor to any corporation or association organized and operated exclusively for religious, charitable, scientific, or educational purposes, no part of the net income of which inures to the benefit of any private stockholder or individual...
181. lappuse - Educational organizations which normally maintain a regular faculty and curriculum and normally have a regularly enrolled body of pupils or students in attendance at the place where their educational activities are regularly carried on...