American Federal Tax ReportsPrentice-Hall, 1996 - Taxation |
From inside the book
Results 1-3 of 77
Page 96-452
... letter from the IRS telling him that his plastic surgeon is the subject of a criminal investigation , he may have two impressions . First , he may believe that the IRS has obtained informa- tion from his plastic surgeon that he was a ...
... letter from the IRS telling him that his plastic surgeon is the subject of a criminal investigation , he may have two impressions . First , he may believe that the IRS has obtained informa- tion from his plastic surgeon that he was a ...
Page 96-1053
... letter to Holling asking that Holling call to resolve the matter . Enclosed with the letter was a Privacy Act Notice , as required by the Pri- vacy Act of 1974 , 5 U.S.C. section 552a ( e ) ( 3 ) . The letter was returned rubber- 1 ¶96 ...
... letter to Holling asking that Holling call to resolve the matter . Enclosed with the letter was a Privacy Act Notice , as required by the Pri- vacy Act of 1974 , 5 U.S.C. section 552a ( e ) ( 3 ) . The letter was returned rubber- 1 ¶96 ...
Page 96-1710
... letter was sent to Periman . Letter from Mullarkey to the Court of 2/15/96 at 2 ( " cc : Gilbert T. Perlman , Esquire " ) . Cite as 77 AFTR 2d 96-1708 The Court notes that. ¶96-690 Answer . No. 16. If the answer to any or all of inter ...
... letter was sent to Periman . Letter from Mullarkey to the Court of 2/15/96 at 2 ( " cc : Gilbert T. Perlman , Esquire " ) . Cite as 77 AFTR 2d 96-1708 The Court notes that. ¶96-690 Answer . No. 16. If the answer to any or all of inter ...
Contents
AFTR2D Parallel Citations Tables 11 | 1981 |
Case Table for Volumes 7177 AFTR2d 51 | 1993 |
Income Tax Decisions 96301 | 96-301 |
Copyright | |
Other editions - View all
Common terms and phrases
26 U.S.C. section 77 AFTR 9th Cir action affirmed AFTR 2d agreement amended amount Anti-Injunction Act appeal apply argues asserted assessment Bank bankruptcy court Boldface type refers cert Cite as 77 Code collateral estoppel Comm Commissioner Corp Corporation creditors debtor Decision for Govt deduction defendant denied determination Dist Docket earnings and profits Estate evidence F.Supp fact federal tax fees filed funds income tax interest Internal Revenue Service IRS's issue July June jurisdiction jury levy litigation loss ment notice of deficiency overpayment paid parties partners partnership payment penalty period Petitioner plaintiff premiums pursuant refers to volume Resser RIA TC Memo Rule Sept statute summary judgment Tax Court tax liability tax lien Tax Reporter tax return taxable taxpayer tion trust Union Film United States Tax