American Federal Tax ReportsPrentice-Hall, 1987 - Law reports, digests, etc |
From inside the book
Results 1-3 of 68
Page 87-5149
... operated exclusively for reli- gious purposes under §501 ( c ) ( 3 ) even though the church operated its own insur- ance plan for congregation members . The welfare plan's reliance on Bethel is mis- placed . It is critical that in ...
... operated exclusively for reli- gious purposes under §501 ( c ) ( 3 ) even though the church operated its own insur- ance plan for congregation members . The welfare plan's reliance on Bethel is mis- placed . It is critical that in ...
Page 87-5929
... operated exclu- sively for exempt purposes . An organization is " operated exclu- sively " for exempt purposes if it is engaged primarily in activities which accomplish one or more purposes described in §501 ( c ) ( 3 ) . Treas . Reg ...
... operated exclu- sively for exempt purposes . An organization is " operated exclu- sively " for exempt purposes if it is engaged primarily in activities which accomplish one or more purposes described in §501 ( c ) ( 3 ) . Treas . Reg ...
Page 87-6002
... operated for the purpose of tax evasion . Plaintiff's affiliation with and aid in the fraud scheme , either wittingly or unwit- tingly , is irrelevant for purposes of defen- dant's motion . Plaintiff's lack of knowledge is sufficient to ...
... operated for the purpose of tax evasion . Plaintiff's affiliation with and aid in the fraud scheme , either wittingly or unwit- tingly , is irrelevant for purposes of defen- dant's motion . Plaintiff's lack of knowledge is sufficient to ...
Contents
AFTR2d Parallel Citations Tables 9 | 87-4883 |
Case Table for Volumes 5160 AFTR2d 51 | 87-4899 |
Income Tax Decisions 875001 | 87-5001 |
Copyright | |
2 other sections not shown
Other editions - View all
Common terms and phrases
60 AFTR 9th Cir action AFTR2d Amendment amount appeal argues assessment assets Atty auditing Bail Bonds bank benefit Boldface type refers Calif capital cert Church Church of Scientology Circuit Judge Cite as 60 Cl.Ct claim Comm Commissioner conclusion Congress Corp corporation debt Decision for Govt deduction defendant defendant's denied determination dismiss Dist district court Drexler Egger employees entitled evidence Exec exempt F.Supp fact fees filed funds government's grand jury income tax interest Internal Revenue Code Internal Revenue Service issue July Kritikos loan ment motion P.R. Farms paid Palomate parties payments person PH Fed plaintiff provides purpose pursuant reasonable record refers to volume refund Ron Hubbard rule S.Ct Scientology shareholders statute statutory summary judgment supra Synanon Tax Court tax liability tax lien tax returns taxable taxpayer tion transfer Treas trial trust United