Documents

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

1,645 results

0.16s

  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Commissioner, 34 T.C. 954, 967 (1960) (noting that counsel's comments during opening statement were not evidence); Kennedy v. Commissioner, T.C. Memo. 1958-139, 17 T.C.M. … Isaacs acted with any tax avoidance motive. - 61 [*61] Although we consider Dr.

    United States Tax Court
  • UNITED STATES TAX COUR T

    Agency decision · Agency decision

    commissioners ) were "to value an d enumerate the•said dwelling-houses, lands and slaves" , sec . 8, 1 Stat . 585, in order to establish the tax base against . which the-tax would be collected .- One commentator … - 49 that was challenged in a CDP hearing , IRS collection personnel would be free to issue another notice of lien or intent 'to levy , as long as the period of limitations for collection, see sec

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Under the terms of the settlement, Fredericks was to continue as a consultant to Wells, Rich, Greene for a 4-year period at $250,000 a year, and thereafter he would receive $30,000 a year for life. … In support of their contention that they acted reasonably, petitioners cite Mauerman v. Commissioner, 22 F.3d 1001 (10th Cir. 1994), revg. T.C. Memo. 1993-23.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Under the terms of the settlement, Fredericks was to continue as a consultant to Wells, Rich, Greene for a 4-year period at $250,000 a year, and thereafter he would receive $30,000 a year for life. … In support of their contention that they acted reasonably, petitioners cite Mauerman v. Commissioner, 22 F.3d 1001 (10th Cir. 1994), revg. T.C. Memo. 1993-23.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Under the terms of the settlement, Fredericks was to continue as a consultant to Wells, Rich, Greene for a 4-year period at $250,000 a year, and thereafter he would receive $30,000 a year for life. … In support of their contention that they acted reasonably, petitioners cite Mauerman v. Commissioner, 22 F.3d 1001 (10th Cir. 1994), revg. T.C. Memo. 1993-23.

    United States Tax Court

Ask Donna what matters in the record.

She can read the source against your case and show you exactly where the answer came from.

Ask Donna

A word about cookies

We need a few to keep you signed in and the library working. The rest help us see which pages people use and where they get stuck. They stay off unless you say yes.