American Federal Tax ReportsPrentice-Hall, 2003 - Taxation |
From inside the book
Results 1-3 of 83
Page 2003-583
... response thereto , I suggested that he file a formal response with the Court setting forth his reasons for dismissal of Mr. Viola's mo- tion , instead of submitting a personal letter to chambers . The entirety of my response to AUSA ...
... response thereto , I suggested that he file a formal response with the Court setting forth his reasons for dismissal of Mr. Viola's mo- tion , instead of submitting a personal letter to chambers . The entirety of my response to AUSA ...
Page 2003-875
... response , the IRS agreed that no postpetition penalties should be assessed , but contended that it is enti- tled to postpetition interest on the claim and that the interest is nondischargeable . Eventually , on September 20 , the IRS ...
... response , the IRS agreed that no postpetition penalties should be assessed , but contended that it is enti- tled to postpetition interest on the claim and that the interest is nondischargeable . Eventually , on September 20 , the IRS ...
Page 2003-1302
... Response at 4 ; Motion at 2 . On May 10 , 1990 , this Court entered a " Consent Final Judgment " in favor of De- fendant against Plaintiff in the amount of $ 81,691.01 plus interest thereon from May 23 , 1983.5 See Response at 4 ...
... Response at 4 ; Motion at 2 . On May 10 , 1990 , this Court entered a " Consent Final Judgment " in favor of De- fendant against Plaintiff in the amount of $ 81,691.01 plus interest thereon from May 23 , 1983.5 See Response at 4 ...
Contents
AFTR2d Parallel Citations Tables 11 | 2003-275 |
Case Table for Volume 91 AFTR2d 51 | 2003-283 |
Income Tax Decisions | 2003-301 |
Copyright | |
Other editions - View all
Common terms and phrases
2d Cir 5th Cir 91 AFTR action affirmed AFTR 2d agreement alleged amended amount apply Appx argues argument asserts assessment attorney audit Bank Bankr Bankruptcy Court Bktcy Ct Chevron Circuit Cite as 91 claim Code Commissioner complaint Corp counsel debtor Decision for Govt deduction defendant defendant's denied determination District Judge documents employees evidence fact filed Gambones granted hearing income tax injunction interest Internal Revenue Code Internal Revenue Service IRS's issue Judicial Watch jurisdiction jury KPMG litigation ment motion for summary notice partnership party payments penalty petition Plaintiff privilege proceeding pursuant reasonable received request Rule ruptcy Section Southern Dist statute summary judgment summons Supp tar sands Tax Court tax liability Tax Reporter tax returns taxpayer tion transaction trial trucks Trustee U.S. District Court UNITED STATES DISTRICT United States Tax violation