U.S. Tax Cases, Volume 98, Issue 1Commerce Clearing House, 1998 - Income tax 1935-42 decisions originally reported currently in the Standard federal tax service, and 1941-42 also in the Federal estate and gift tax service, and 19 - in the Federal excise tax reports. |
From inside the book
Results 1-3 of 72
Page 83-38
... prior bankruptcy case but did not do so constitutes no reason not to apply the rule represented by the weight of the authorities . First , Section 1305 ( a ) ( 1 ) does not require the government to seek payment in the prior bankruptcy ...
... prior bankruptcy case but did not do so constitutes no reason not to apply the rule represented by the weight of the authorities . First , Section 1305 ( a ) ( 1 ) does not require the government to seek payment in the prior bankruptcy ...
Page 83-217
... prior to the publication of the GCM . Herein , Kidde cer- tainly relied upon the availability of WIN cred- its when it entered its contract with SRC and submitted SRC's work product to the IRS and indicated its entitlement to a refund prior ...
... prior to the publication of the GCM . Herein , Kidde cer- tainly relied upon the availability of WIN cred- its when it entered its contract with SRC and submitted SRC's work product to the IRS and indicated its entitlement to a refund prior ...
Page 83-768
... prior bankruptcy petitions , and , thus , has had the protection of the § 362 ( a ) automatic stay thereby staying the collection of prepetition taxes by the Internal Revenue Service : Date Case Petition Filed Date Case Dismissed Days ...
... prior bankruptcy petitions , and , thus , has had the protection of the § 362 ( a ) automatic stay thereby staying the collection of prepetition taxes by the Internal Revenue Service : Date Case Petition Filed Date Case Dismissed Days ...
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10th Cir 9th Cir action affirm alleged amended amount appeal argues asserts assessment attorney Back references Bank Bankruptcy Court captive insurer CCH Dec citing Code Sec Commissioner complaint Congress contends contract Corp corporation creditors cruzeiros debt Debtor decision deductions defendant defendant's deficiency denied determined disclosure documents employees entitled equitable tolling evidence exempt fact failed federal tax filed funds granted income tax interest Internal Revenue Code Internal Revenue Service IRS's issue jurisdiction Kidde levy litigation Macardican ment motion for summary notice paid partnership party payment penalties percentage depletion person petition plaintiff pro se proof of claim pursuant reasonable record refund request Rule sovereign immunity statute statutory summary judgment summons Supp tar sands Tax Court tax credit tax liability tax lien tax return taxable taxpayer tion Treas trust Tucker U.S. Court United United States Attorney unpub USTC violated Yoons