American Federal Tax ReportsPrentice-Hall, 1998 - Taxation |
From inside the book
Results 1-3 of 69
Page 97-5188
... U.S.C. section 6503 ( h ) would not extend the collection limitation period be- cause it does not apply when there is a date certain waiver executed pursuant to 26 U.S.C. section 6502 ( a ) ( 2 ) . The court con- cluded that 26 U.S.C. ...
... U.S.C. section 6503 ( h ) would not extend the collection limitation period be- cause it does not apply when there is a date certain waiver executed pursuant to 26 U.S.C. section 6502 ( a ) ( 2 ) . The court con- cluded that 26 U.S.C. ...
Page 97-5730
... section 170 ( a ) of Title 26 of the United States Code . 26 U.S.C. section 170 ( a ) ( 1976 & Supp . V 1981 ) . When a charitable contribution is in the form of a partial interest in property , a deduction will be denied pursuant to 26 ...
... section 170 ( a ) of Title 26 of the United States Code . 26 U.S.C. section 170 ( a ) ( 1976 & Supp . V 1981 ) . When a charitable contribution is in the form of a partial interest in property , a deduction will be denied pursuant to 26 ...
Page 97-5969
... U.S.C. section 7429 . Within five days after termination / jeop- ardy assessment is made , the Secretary must provide the taxpayer with a written statement of the information upon which the Secretary relied upon in making such an ...
... U.S.C. section 7429 . Within five days after termination / jeop- ardy assessment is made , the Secretary must provide the taxpayer with a written statement of the information upon which the Secretary relied upon in making such an ...
Other editions - View all
Common terms and phrases
26 U.S.C. section 80 AFTR 9th Cir action AFTR 2d alleged amended amount appeal applied April argues argument asserted assessment Aversa Bank bankruptcy court Boldface type refers Church of Scientology Cite as 80 claim Code Comm Commissioner Company complaint Corp Corporation Count Debtor Decision for Govt deduction defendant denied Dept determination dismiss Dist district court Docket documents evidence F.Supp Fed Cl fees filed funds Furkin income tax Insurance Internal Revenue Service IRS's issue July June June 24 jurisdiction jury Leasing loan loss March ment Mortgage motion for summary Ohio parties payment plaintiff provides pursuant QTIP record refers to volume refund Ross Group Rule Sept Sharp County statute summary judgment Tate & Lyle tax liability Tax Reporter tax returns taxpayer tion Treas Treasury trial Trust United States Tax