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  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • United States Tax Court

    Agency decision · Agency decision

    Served 04/24/24 2 [*2] III. … See du Pont, 308 U.S. at 493–94; Cocke, 399 F.2d at 447; H.W. Nelson Co, 308 F.2d at 954.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • UNITED STATES TAX COURT

    Agency 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 Court

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