Description of Possible Options to Increase RevenuesU.S. Government Printing Office, 1987 - 291 lappuses |
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1.–5. rezultāts no 32.
vii. lappuse
... trade association income .. 272 2. Excise tax on net investment income of exempt organizations 275 3. Unrelated business income tax - equity kickers on loans to business ventures .. 277 INTRODUCTION This pamphlet , 1 prepared by the ...
... trade association income .. 272 2. Excise tax on net investment income of exempt organizations 275 3. Unrelated business income tax - equity kickers on loans to business ventures .. 277 INTRODUCTION This pamphlet , 1 prepared by the ...
5. lappuse
... trade or business , do not currently constitute cov- ered employment . ( e ) Spouses . - Services performed by an individual in the employ of his spouse do not constitute covered employment . These proposals would be effective January 1 ...
... trade or business , do not currently constitute cov- ered employment . ( e ) Spouses . - Services performed by an individual in the employ of his spouse do not constitute covered employment . These proposals would be effective January 1 ...
59. lappuse
... Trade ( " GATT " ) after the Superfund tax on imported oil was raised above that on domestic oil in the Superfund Reauthorization Act of 1986 . A GATT panel convened to investigate the complaint concluded that the differential petroleum ...
... Trade ( " GATT " ) after the Superfund tax on imported oil was raised above that on domestic oil in the Superfund Reauthorization Act of 1986 . A GATT panel convened to investigate the complaint concluded that the differential petroleum ...
60. lappuse
... Trade ( GATT ) , a tariff imposed on national security grounds is not a violation of trade agreements . Consequently , enactment of a tariff on imported petroleum for legitimate national security rea- sons would not result in the ...
... Trade ( GATT ) , a tariff imposed on national security grounds is not a violation of trade agreements . Consequently , enactment of a tariff on imported petroleum for legitimate national security rea- sons would not result in the ...
64. lappuse
... trade . 3. Increasing the motor fuels taxes on as many types of transpor- tation as possible would avoid competitive disadvantages among in- dustry segments . 4. Motor fuels are taxed at substantially higher rates outside the United ...
... trade . 3. Increasing the motor fuels taxes on as many types of transpor- tation as possible would avoid competitive disadvantages among in- dustry segments . 4. Motor fuels are taxed at substantially higher rates outside the United ...
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Bieži izmantoti vārdi un frāzes
$50 million alcohol fuels allocation allowed alternative minimum tax amount apply assets basis billions of dollars cafeteria plan capital cash cents per gallon Cons Arguments consolidated return corporate level costs crude oil debt deferred distribution earnings and profits economic employees employer-provided equity ESOP estate tax excess excise tax exempt expenses Federal fees fuels taxes Gain of less gasoline gross group-term life insurance imposed income tax increase individual inside buildup insurance companies interest Internal Revenue Service itemized deductions Law Under present less than $50 LIFO loans loss motor fuels paid partners payments percent percentage petroleum Possible Proposals preferred stock Present Law proposal Pros Pros and Cons purchase reduce Repeal Revenue Effect Fiscal rules shareholders subsidiary tax benefits tax credit tax liability tax purposes Tax Reform tax-exempt taxable income taxpayers tion transfers treated treatment Trust Fund U.S. tax wages
Populāri fragmenti
122. lappuse - States, the construction of which is initiated before promulgation of standards and regulations under this section; (3) "public vessel" means a vessel owned or bareboat chartered and operated by the United States, by a State or political subdivision thereof, or by a foreign nation, except when such vessel is engaged in commerce; (4) "United States...
240. lappuse - No gain or loss shall be recognized on the exchange of property held for productive use in a trade or business or for investment...
42. lappuse - Extensive hearings followed before the House Committee on Ways and Means, and the Senate Committee on Finance.
240. lappuse - Under section 1031 (a), no gain or loss is recognized if property held for productive use in trade or business or for investment is exchanged solely for property of a like kind to be held either for productive use in trade or business or for investment.
93. lappuse - For purposes of this subsection, the term "personal interest" means any interest allowable as a deduction under this chapter other than— (A) interest paid or accrued on indebtedness incurred or continued in connection with the conduct of a trade or business...
156. lappuse - A special rule limits the use of passive activity losses and credits against portfolio income in the case of closely held corporations.
246. lappuse - An activity generally is treated as passive if the taxpayer does not materially participate in it. A taxpayer is treated as materially participating in an activity only if the taxpayer is involved in the operations of the activity on a basis which is regular, continuous, and substantial.
240. lappuse - The basis reduction first is applied to: (1) property that is similar or related in service or use to the converted property, then (2) to other depreciable property, then (3) to other property.
146. lappuse - Good will has been denned as the probability that "old customers will resort to the old place" without contractual compulsion. Brooks v. CIR, 36 TC 1128, 1133 (1961). The Tax Court was not satisfied that this good will of the partnership was solely due to Mr. Karan's own personal qualifications. This Court will give primary consideration to the conclusions drawn by...
216. lappuse - ... has been designated by the Secretary of State as a country that...