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Agency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On August 24, 1989, DeCastro wrote McWade requesting him to arrange for the Thompsons to receive the balance of their refund. … Commissioner, 114 T.C. 399 (2000), affd. 259 F.3d 881 (7th Cir. 2001), a majority of this Court upheld respondent's contention that the taxpayers were chargeable with the receipt of gross income on the
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Sticht on June 24, 1996.
United States Tax CourtAgency decision · Agency decision
Memo. 1998-357, slip op. at 24 ("[W]e observe that because res judicata and collateral estoppel are affirmative defenses and neither was pleaded by petitioner, they are deemed waived."). … Commissioner, 399 F.2d 603, 606 (9th Cir. 1968) (stating that the reasonableness of compensation is a question of fact to be determined on the basis of all the facts - 92 and circumstances),.a_f_f'g T.C
United States Tax CourtAgency decision · Agency decision
On January 24, 1981, Mr. … Maroney, 399 U.S. .S. 201 (1964)); 2, 52-53 (1970) (admission of evidence btained in violation of the Fourth Amendment) ; Colema v. Alabama, 399 U.
United States Tax CourtAgency decision · Agency decision
On August 24, 1989, DeCastro wrote McWade requesting him to arrange for the Thompsons to receive the balance of their refund. … Commissioner, 114 T.C. 399 (2000), affd. 259 F.3d 881 (7th Cir. 2001), a majority of this Court upheld respondent's contention that the taxpayers were chargeable with the receipt of gross income on the
United States Tax CourtAgency decision · Agency decision
Kelly supplied Alcon P.R. with two of the three people who worked at the Alcon P.R. facility from July 1990 through August - 24 31, 1992, as the Avitene planner/buyer.9 The planner/buyer generally established … Commissioner, 399 F.2d 326, 329-330 (5th Cir. 1968), affg. T.C. Memo. 1967-137.
United States Tax CourtAgency decision · Agency decision
Kelly supplied Alcon P.R. with two of the three people who worked at the Alcon P.R. facility from July 1990 through August - 24 31, 1992, as the Avitene planner/buyer.9 The planner/buyer generally established … Commissioner, 399 F.2d 326, 329-330 (5th Cir. 1968), affg. T.C. Memo. 1967-137.
United States Tax CourtAgency decision · Agency decision
-24- G. The Yarnell Family Withdraws From Branch International On January 31, 1991, Mr. L. Yarnell ceased being an officer of Branch International, and on March 28, 1991, Mr. L. … Eaton, 120 N.E.2d 118, 399 F.2d 781, 784 n.2 123 502, 516 (1990) (Ohio 1954)); see (6th Cir. 1968).
United States Tax Court
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