American Federal Tax ReportsPrentice-Hall, 1998 - Taxation |
From inside the book
Results 1-3 of 76
Page 97-6018
... payment " and thus section 6511 ( b ) ( 2 ) does not apply . The IRS argues that the $ 7,000 was indeed a " payment , ' and therefore section 6511 ( b ) ( 2 ) applies . A remittance to the IRS will be considered a deposit , rather than ...
... payment " and thus section 6511 ( b ) ( 2 ) does not apply . The IRS argues that the $ 7,000 was indeed a " payment , ' and therefore section 6511 ( b ) ( 2 ) applies . A remittance to the IRS will be considered a deposit , rather than ...
Page 97-6109
... payment of wages is the person most able to make a proper ac- counting and to make payment to the United States . - While the ability to hire , fire , and set the wages for an employee is relevant to deter- mining who controls the WAGE ...
... payment of wages is the person most able to make a proper ac- counting and to make payment to the United States . - While the ability to hire , fire , and set the wages for an employee is relevant to deter- mining who controls the WAGE ...
Page 97-7989
... payment is made , and ( D ) There is no liability to make any such payment for any period after the death of the payee spouse and there is no liability to make any payment ( in cash or property ) as a substitute for such payments after ...
... payment is made , and ( D ) There is no liability to make any such payment for any period after the death of the payee spouse and there is no liability to make any payment ( in cash or property ) as a substitute for such payments after ...
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