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Briefs, oral arguments, agency decisions and the Federal Register.

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  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On January 24, 1981, Mr. … Sticht on June 24, 1996.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On January 24, 1981, Mr. … Sticht on June 24, 1996.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On January 24, 1981, Mr. … Sticht on June 24, 1996.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On January 24, 1981, Mr. … Sticht on June 24, 1996.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On January 24, 1981, Mr. … Sticht on June 24, 1996.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On January 24, 1981, Mr. … Sticht on June 24, 1996.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On January 24, 1981, Mr. … Sticht on June 24, 1996.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On January 24, 1981, Mr. … Sticht on June 24, 1996.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency 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 Court
  • Conformed to Federal Register version

    Agency decision · Agency decision

    Final Amendments ................................................................................................... 24 B. … See letter from Toomey/Shelby. 690 See supra Section II. 691 See supra notes 399–406 and accompanying text. 692 See letters from CCMC 2015; Mercer; Pearl; TCA 2015; and TCA 2022. 693 See letter

    Securities and Exchange Commission
  • UNITED STATES TAX COURT

    Agency 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 Court
  • Exempt Organizations

    Agency decision · Agency decision

    See Restatement of Trusts (Second) 399. (3) Determination Letter: A letter issued by the IRS recognizing an organization’s exempt status and providing its foundation classification. … ) -24- C.

    Internal Revenue Service
  • Conformed to Federal Register Version

    Agency decision · Agency decision

    Of these 57 proposals, 24 targeted investment companies, and 67 percent of these 24 received sufficient voting support to pass. … The survey was open from Nov. 19 through Dec. 24, 2025.

    Securities and Exchange Commission
  • Including the instructions for (2021)

    Agency decision · Agency decision

    429 422 414 406 3,618 3,618 3,618 3,618 5,980 5,980 5,980 5,980 6,728 6,728 6,728 6,728 1,340 1,332 1,324 1,317 3,618 3,618 3,618 3,618 18,800 18,850 18,900 18,950 18,850 18,900 18,950 19,000 399 … 26 29 31 21 24 26 29 31 21 24 26 29 31 21 24 26 29 31 325 350 375 400 425 350 375 400 425 450 34 36 39 41 44 34 36 39 41 44 34 36 39 41 44 34 36 39 41 44 450 475 500 525 550 475 500 525 550

    Internal Revenue Service
  • SEQ 0001 JOB B09-001-006 PAGE-0003 COVER

    Agency decision · Agency decision

    INCOME TAX EXEMPT ORGANIZATIONS PS–7–89, page 24. … 31 39 49 61 74 86 99 112 125 137 150 162 182 207 232 257 282 308 333 10 19 27 37 46 58 73 88 104 119 134 149 164 179 194 217 247 277 308 338 369 399 10 21 32 42 53 67 84 102 119 136 154 171 189 207

    Internal Revenue Service
  • Conformed to Federal Register version

    Agency decision · Agency decision

    SAB 120 (Nov. 24, 2021) [86 FR 68111 (Dec. 1, 2021)] (“SAB 120”). … , 24 J.

    Securities and Exchange Commission
  • 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
  • Office of Chief Counsel

    Agency decision · Agency decision

    Rosnow, 977 F.2d 399, 409 (8th Cir. 1992), cert. denied, 507 U.S. 990 (1993); United States v. Fawaz, 881 F.2d 259, 409 (6th Cir. 1989); United States v. … Bicaksiz, 194 F.3d 390, 398-399 (2d Cir 1999). 1.

    Internal Revenue Service
  • Message from the Chief & Deputy (2018)

    Agency decision · Agency decision

    Caro Lopez was sentenced to 24 years cording to court documents. … years in prison on January 24, 2107.

    Internal Revenue Service
  • Conformed to Federal Register Version

    Agency decision · Agency decision

    (g)(1)(E) to Item 24 of Form N-2. … (g)(1)(E) to Item 24 of Form N-2.

    Securities and Exchange Commission

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