Documents
Briefs, oral arguments, agency decisions and the Federal Register.
2,085 results
0.91s
Division of Investment Management
Agency decision · Agency decision
Government Agency Debt (if categorized as no-coupon-paying notes) Treasury/Agency Agency Debt U.S. Treasury Debt Treasury/Agency Treasury Debt U.S. … GOVERNMENT MONEY FUND FRANKLIN ONCHAIN U.S.
Securities and Exchange CommissionThese synopses are intended only as aids to the reader in
Agency decision · Agency decision
Subsequently, the Internal Revenue Service reallocates $200,000 of this income from B to A under the authority of section 482 and the tax treaty. … that USC does not pay its €240x tax liability for its Country X taxable year ending on March 31, Year 4, until January 15 of Year 6, when the spot rate described in §1.986(a)-1(a)(2)(i) is $1:€1.5. 423
Internal Revenue ServiceAgency decision · Agency decision
advertising in accordance with Securities Act Rule 497 and the Note to Rule 482(c) 497AD EDGARLink Template 3 XFDL Technical Specification Rule 482 REGISTRATION OF SECURITIES BY CERTAIN INVESTMENT … You may make the payment to U.S. Bank by wire transfer or check by mail. U.S. Bank does not support hand delivery. We cannot accept personal checks for payment of fees. U.S. Bank is the U.S.
Securities and Exchange CommissionAgency decision · Agency decision
The U.S. … Commissioner, 503 U.S. at 84.
United States Tax CourtConformed to Federal Register Version
Agency decision · Agency decision
U.S. … See U.S.
Securities and Exchange CommissionAgency decision · Agency decision
Seller's Investment in Life Insurance Contract 3921 Exercise of an Incentive Stock Option Under Section 422(b) 3922 5498 Transfer of Stock Acquired Through an Employee Stock Purchase Plan Under Section 423 … • The term “Recipient’s U.S.
Internal Revenue ServiceAgency decision · Agency decision
—Determination of Issue Price in the Case of Certain Debt Instruments Issued for Property (Also Sections 42, 280G, 382, 412, 467, 468, 482, 483, 642, 807, 846, 1288, 7520, 7872.) … The provisions and tax rates can be found in Tables 1 and 2 of the March 1997 revision of Publication 901, U.S. Tax Treaties. Indonesia.
Internal Revenue ServiceAgency decision · Agency decision
Earl, 281 U.S. 111 (1930). … Davis, 370 U.S. 65 (1962).
United States Tax CourtAgency decision · Agency decision
Earl, 281 U.S. 111 (1930). … Davis, 370 U.S. 65 (1962).
United States Tax CourtAgency decision · Agency decision
Earl, 281 U.S. 111 (1930). … Davis, 370 U.S. 65 (1962).
United States Tax CourtAgency decision · Agency decision
—Determination of Issue Price in the Case of Certain Debt Instruments Issued for Property (Also sections 42, 280G, 382, 412, 467, 468, 482, 483, 642, 807, 846, 1288, 7520, 7872.) … Estate of Bosch, 387 U.S. 456 (1967).
Internal Revenue ServiceAgency decision · Agency decision
Section 482.—Allocation of Income and Deductions Among Taxpayers Federal short-term, mid-term, and long-term rates are set forth for the month of March 1999. See Rev. Rul. 99–11, page 18. … —Determination of Issue Price in the Case of Certain Debt Instruments Issued for Property (Also Sections 42, 280G, 382, 412, 467, 468, 482, 483, 642, 807, 846, 1288, 7520, 7872.)
Internal Revenue ServiceInformation Returns Intake System (IRIS)
Agency decision · Agency decision
For Tax Year (TY) 2025 in Processing Year (PY) 2026 the following information returns can be filed using IRIS A2A: • Form 1042-S, Foreign Person’s U.S. … Investment in Life Insurance Contract • Form 3921, Exercise of an Incentive Stock Option Under Section 422(b) • Form 3922, Transfer of Stock Acquired Through an Employee Stock Purchase Plan under Section 423
Internal Revenue ServiceAgency decision · Agency decision
The term “brand prescription drug” includes drugs that the U.S. … The PPP is a loan program administered by the U.S.
Internal Revenue ServiceSEQ 0001 JOB C21-001-007 PAGE-0001 COVER
Agency decision · Agency decision
No. 1263, 95th Cong., 2d Sess. 184–85 (1978), 1978–3 C.B. 482–83. … Those affiliates that do not use the year determined under this paragraph (c) as their U.S. taxable year for general U.S. income tax purposes must, for purposes of this section, use their U.S. taxable
Internal Revenue ServiceDivision of Investment Management
Agency decision · Agency decision
Government Agency Debt (if categorized as no-coupon-paying notes) Treasury/Agency Agency Debt U.S. Treasury Debt Treasury/Agency Treasury Debt U.S. … GOVERNMENT MONEY FUND FRANKLIN ONCHAIN U.S.
Securities and Exchange CommissionConformed to Federal Register version
Agency decision · Agency decision
Comments to Limit Scope to Equity Securities of U.S. … Transparency regarding short selling by Managers of securities of U.S. and non-U.S. issuers is important regardless of where those sales occur.
Securities and Exchange CommissionAgency decision · Agency decision
Sources: U.S. … Foreign Person’s U.S.
Internal Revenue ServiceDivision of Investment Management
Agency decision · Agency decision
Government Agency Debt (if categorized as no-coupon-paying notes) Treasury/Agency Agency Debt U.S. Treasury Debt Treasury/Agency Treasury Debt U.S. … Government Agency Repurchase Agreement Repo Agency Repo U.S.
Securities and Exchange CommissionDivision of Investment Management
Agency decision · Agency decision
Government Agency Debt (if categorized as no-coupon-paying notes) Treasury/Agency Agency Debt U.S. Treasury Debt Treasury/Agency Treasury Debt U.S. … Government Agency Repurchase Agreement Repo Agency Repo U.S.
Securities and Exchange Commission
Ask Donna what matters in the record.
She can read the source against your case and show you exactly where the answer came from.