Documents

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

2,085 results

0.18s

  • FEDERAL TRADE COMMISSION

    Agency decision · Agency decision

    The U.S. market for such drugs was highly concentrated and Genzyme was the leading supplier with its product, Thymoglobulin. … 2 0 0 2 0 0 0 0 0 1 0 0 1 0 0 85 5.3% NC 3 10 13 1 3 4 4 82 24 0.2% 5.1% 1.5% -0.8% -0.3% -0.2% 0 4 0 2 9 3 2 13 3 0 2 0 1 5 0 1 7 0 1 0.1% NC 0 0 0 0 0 0 446 447 481 482

    Federal Trade Commission
  • U.S. Securities and Exchange Commission

    Agency decision · Agency decision

    Unknown Non-U.S. … Unknown Non-U.S.

    Securities and Exchange Commission
  • T . C . Memo . 1993-616

    Agency decision · Agency decision

    U.S. … First Security Bank, 405 U.S. 394, 405 (1972) (power at issue under section 482 does not include the power to force a subsidiary to violate the law).

    United States Tax Court
  • Publication 5300 (Rev 9-2020) Catalog Number 71492Y Department of the Treasury Internal Revenue Service www.irs.gov

    Agency decision · Agency decision

    Helpful Reference: IRC 482 Audit Toolkit A. … Helpful Reference: IRC 482 Audit Toolkit A.

    Internal Revenue Service
  • T . C . Memo . 1993-616

    Agency decision · Agency decision

    U.S. … First Security Bank, 405 U.S. 394, 405 (1972) (power at issue under section 482 does not include the power to force a subsidiary to violate the law).

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Trucking Ass'ns, Inc., 310 U.S. 534, 542-543 (1940). … Shell Oil Co., 519 U.S. 337, 340 (1997). B.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Any amount that would be paid from HESA as dividend income to HIC (Mexico), a U.S. subsidiary of HIC, would be included in the U.S. consolidated return with HIC. … A review of the royalty, marketing, and reservations charges of U.S.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Respondent issued petitioner a deficiency notice and adjusted petitioner's incoine under section 482 for those transactions. … Engle, 464 U.S. 206, 226-227 (1984) (quoting section 7805(a)). The Commissioner promulgated the applicable revenue procedures to administer the APA program.

    United States Tax Court
  • J.R. MANNES GOVERNMENT SERVICES CORP.,

    Agency decision · Agency decision

    Courtney that had been sent to the Office of the National Ombudsman, U.S. Small Business Administration. The letter responds to allegations made by Jerry R. … Morgan, 313 U.S. 409 (1941), the Supreme Court indicated that the practice of calling high ranking government officials as witnesses should be discouraged.

    Civilian Board of Contract Appeals
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Wells, 519 U.S. 482, 492-493 (1997)." Thus, the 1969 Act can fairly be read to mean that Congress intended to terminate the Tax Court's previously well-understood placement in the executive branch. … Q, sec. 423, 129 Stat. at 3123 (2015), provides that spousal relief cases under sec. 6015 and collection cases under secs. 6320 and 6330 are appealable to the U.S.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Proc. 99-32, 1999-2 C.B. 296, permits qualifying U.S. taxpayers to make the secondary adjustments required by sec. 1.482-1(g)(3)(i), Income Tax Regs., after a sec. 482 adjustment by establishing an interest-bearing … Secondary Adjustments Under Section 482 Section 482 authorizes the Secretary to adjust the items of entities owned or controlled by the same interests.

    United States Tax Court
  • AMRICA.N PVNDB DXBTRXVTOB INC

    Agency decision · Agency decision

    English and must exposure in that language even if they do not to conduct its fluently it read adhere the to Fra.iklin letter Pursuant Non-English Sales_Materini.s_Used to Rules and 1311 482 … English language that are accompanied of the and 10a with Sections in accordance prospectus 134 or under Rule and Securities Act of 1933 1933 is prospectus of the 1933 Act when only an English language 482

    Securities and Exchange Commission
  • Division of Investment Management

    Agency decision · Agency decision

    Investment Management Analytics Office Registered Fund Statistics Form N-PORT Data, period ending June 2024 This is a report of the Staff of the Division of Investment Management’s Analytics Office of the U.S … 4,949 3,178 772 5 257 4,211 1,181 2,236 4 4 3,425 9 766 *** *** 778 25,309 Jun 2024 11,978 182 24 25 12,209 255 4,678 32 2 4,966 3,235 765 5 258 4,263 1,382 2,018 4 4 3,409 8 780 *** *** 792 25,639 See U.S

    Securities and Exchange Commission
  • for Tax Years 2014-2016

    Agency decision · Agency decision

    2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 FY2014 11 2 5 6 18 29 72 87 132 212 268 360 506 677 1,059 1,498 2,345 4,369 21,037 13,936 1 0 0 0 0 0 FY2015 6 1 2 3 6 15 44 56 95 152 228 302 423 … 0 0 1 1 1 3 4 7 12 20 31 37 51 63 92 166 240 463 1,386 0 0 0 2018 0 0 0 0 0 0 0 1 1 2 2 4 7 16 26 28 38 54 69 90 174 248 516 2,030 0 0 2019 0 0 0 0 0 0 0 0 1 1 1 3 5 9 15 24 25 28 39 59 90 140 235 482

    Internal Revenue Service
  • Bulletin No. 2023–21

    Agency decision · Agency decision

    In general, the U.S. transferor takes into account an annual inclusion over the useful life of the intangible property, as determined in accordance with the provisions of section 482 and regulations thereunder … In determining the amount of gross income that is attributable to a foreign branch that must be adjusted, the principles of sections 367(d) and 482 apply.

    Internal Revenue Service
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    U.S. law.47 2. … under U.S. law.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Any amount that would be paid from HESA as dividend income to HIC (Mexico), a U.S. subsidiary of HIC, would be included in the U.S. consolidated return with HIC. … A review of the royalty, marketing, and reservations charges of U.S.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    with or between 28 SEC. 482. … Commissioner, 460 U.S. 370, 392 (1983); see Ireland v. United States, 621 F.2d 731, 735 (5th Cir. 1980); see also Old Colony Trust Co. v. Commissioner, 279 U.S. 716, 729-731 (1929).

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    with or between 28 SEC. 482. … Commissioner, 460 U.S. 370, 392 (1983); see Ireland v. United States, 621 F.2d 731, 735 (5th Cir. 1980); see also Old Colony Trust Co. v. Commissioner, 279 U.S. 716, 729-731 (1929).

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    On its 1987, 1988, and 1989 Forms 1120, U.S. … to avoid the complexities of section 482.

    United States Tax Court

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