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Agency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtT .C . Summary Opinion 2008-3 9
Agency decision · Agency decision
Petitioner testified that she commented : "you mean to tell me that when the IRS told me not to call them anymore, that there was no effort to collect from me * * * Fred had already been discharged", and … on or must so act that the party asserting estoppel has a right to believe it is intended ; (3) the party asserting estoppel must be ignorant of the true facts ; (4) th e 5 The Court may apply equitable
United States Tax CourtAgency decision · Agency decision
During the period 2002 to 2004, Mr. Bell and petitioner owned 51 percent and 49 percent, respectively, of the outstanding stock of Today I Can. During that period, Mr. … In that example, the requesting spouse established that she did not "act as if * * * [she] were the owner of the IRA." Id.
United States Tax CourtAgency decision · Agency decision
- 22 and act on it. … - 70 We agree with petitioners that they acted with reasonable cause and that they acted in good faith.
United States Tax CourtAgency decision · Agency decision
- 22 and act on it. … - 70 We agree with petitioners that they acted with reasonable cause and that they acted in good faith.
United States Tax CourtAgency decision · Agency decision
- 5 For a certain period prior to October 1991, Mr. … Gargiulo was not reasonable and that he did not act in good faith in relying on him.
United States Tax CourtAgency decision · Agency decision
Section 164(a)(4) was repealed by section 134(a)(1) of The Tax Reform Act of 1986, Pub. L. 99-514, 100 Stat. 2116. … Petitioners' reliance on this comment, regardless of its - 22 accuracy, does not excuse their negligence.
United States Tax CourtAgency decision · Agency decision
period. … Respondent is certainly correct that petitioner was not under a court order to pay child support and alimony during the 3-year period; however, this fact does not establish that petitioner acted as if
United States Tax CourtAgency decision · Agency decision
- 22 and act on it. … - 70 We agree with petitioners that they acted with reasonable cause and that they acted in good faith.
United States Tax CourtAgency decision · Agency decision
- 22 and act on it. … - 70 We agree with petitioners that they acted with reasonable cause and that they acted in good faith.
United States Tax CourtAgency decision · Agency decision
- 22 and act on it. … - 70 We agree with petitioners that they acted with reasonable cause and that they acted in good faith.
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax CourtAgency decision · Agency decision
[Jay Hoyt’s comment]: percent - etc. What percentage? 100 [Mr. … Might explain why he acts so nervousspooky. 26 See supra note 16, describing how they wound up (continued...
United States Tax Court
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