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Briefs, oral arguments, agency decisions and the Federal Register.
499 results
0.47s
Agency decision · Agency decision
United States, 399 F.2d 194, 207 (Ct. Cl. 1968))); Bail Bonds by Marvin Nelson, Inc. v. … On April 24, 2012, SIHP’s Portfolio Position consisted of a permissible 64% overlap.
United States Tax CourtAgency decision · Agency decision
Memo. 2010-69, slip op. at 24. 1. … Proc. 2013-34, sec. 4.01(4) and (5), 2013-43 I.R.B. at 399.
United States Tax CourtAgency decision · Agency decision
Memo. 2010-69, slip op. at 24. 1. … Proc. 2013-34, sec. 4.01(4) and (5), 2013-43 I.R.B. at 399.
United States Tax CourtAgency decision · Agency decision
Memo. 2010-69, slip op. at 24. 1. … Proc. 2013-34, sec. 4.01(4) and (5), 2013-43 I.R.B. at 399.
United States Tax CourtAgency decision · Agency decision
Memo. 2010-69, slip op. at 24. 1. … Proc. 2013-34, sec. 4.01(4) and (5), 2013-43 I.R.B. at 399.
United States Tax CourtAgency decision · Agency decision
Memo. 2010-69, slip op. at 24. 1. … Proc. 2013-34, sec. 4.01(4) and (5), 2013-43 I.R.B. at 399.
United States Tax CourtAgency decision · Agency decision
Under the terms of the management agreement, the City is the recipient of AAM’s advances. 24 [*24] dated September 30, 2014, stated that the Operating Loans and the Debt Service Loans could have a combined … Whether AAM’s advances became worthless during 2015 is not at issue. 24 Therefore, AAM can deduct its advances as bad debts if they are debts. 24 The FPAA explained the disallowance of AAM’s bad-debt
United States Tax CourtAgency decision · Agency decision
Commissioner, 401 F.2d 333 (1st Cir. 1968), affg. 49 T.C. 399, 405 (1968); Kaufmann v. … Reg. 3870 (Jan. 21, 1977);24 see also Rev. Rul. 73-236, 1973-1 C.B. 183.
United States Tax CourtAgency decision · Agency decision
Peltzer, 312 U.S. 399, 402-403 (1941) .] … Commissioner, 24 T.C. 1124, 1129 (1955), affd. 241 F.2d 288 (9th Cir. 1956).
United States Tax CourtAgency decision · Agency decision
- 24 [*24] Pursuant to the MFAs, PMG nominally purchased from PAQ, PAI, and PACE during the tax years at issue aggregate accounts receivable as follows: Year A/R Purchased 2002 $18,444,093 2003 … Commissioner, 399 F.2d 603, 605 (9th Cir. 1968), afg T.C. Memo. 1967-7; Estate of Wallace v.
United States Tax CourtAgency decision · Agency decision
- 24 [*24] Pursuant to the MFAs, PMG nominally purchased from PAQ, PAI, and PACE during the tax years at issue aggregate accounts receivable as follows: Year A/R Purchased 2002 $18,444,093 2003 … Commissioner, 399 F.2d 603, 605 (9th Cir. 1968), afg T.C. Memo. 1967-7; Estate of Wallace v.
United States Tax CourtAgency decision · Agency decision
In 2005 he was the Douglas Dillon Curator Emeritus of Asian Art at the Met, having previously served as consultative chairman of its 24 [*24] Asian Art Department. … Commissioner, 72 T.C. 399, 410–11 (1979) (finding it reasonable for a taxpayer to rely on a letter from an examining agent).
United States Tax CourtAgency decision · Agency decision
[*24] cushion was at least $6 billion.¹° He concluded that CSE was adequately capitalized and had substantial unused debt capacity." … Commissioner, 248 F.2d 399, 406 (2d Cir. 1957), remanding T.C. Memo. 1956-137.
United States Tax CourtAgency decision · Agency decision
- 24 3. LESI GSX changed its name to LESI. LESI became an indirect subsidiary of LWSI in October 1986. … Financing the LII Stock Repurchase The public held 21 to 24 percent of LII's stock until December 16, 1987.
United States Tax CourtAgency decision · Agency decision
- 24 [*24] Pursuant to the MFAs, PMG nominally purchased from PAQ, PAI, and PACE during the tax years at issue aggregate accounts receivable as follows: Year A/R Purchased 2002 $18,444,093 2003 … Commissioner, 399 F.2d 603, 605 (9th Cir. 1968), afg T.C. Memo. 1967-7; Estate of Wallace v.
United States Tax CourtAgency decision · Agency decision
- 24 [*24] Pursuant to the MFAs, PMG nominally purchased from PAQ, PAI, and PACE during the tax years at issue aggregate accounts receivable as follows: Year A/R Purchased 2002 $18,444,093 2003 … Commissioner, 399 F.2d 603, 605 (9th Cir. 1968), afg T.C. Memo. 1967-7; Estate of Wallace v.
United States Tax CourtAgency decision · Agency decision
- 24 [*24] Pursuant to the MFAs, PMG nominally purchased from PAQ, PAI, and PACE during the tax years at issue aggregate accounts receivable as follows: Year A/R Purchased 2002 $18,444,093 2003 … Commissioner, 399 F.2d 603, 605 (9th Cir. 1968), afg T.C. Memo. 1967-7; Estate of Wallace v.
United States Tax CourtAgency decision · Agency decision
- 24 [*24] Pursuant to the MFAs, PMG nominally purchased from PAQ, PAI, and PACE during the tax years at issue aggregate accounts receivable as follows: Year A/R Purchased 2002 $18,444,093 2003 … Commissioner, 399 F.2d 603, 605 (9th Cir. 1968), afg T.C. Memo. 1967-7; Estate of Wallace v.
United States Tax CourtAgency decision · Agency decision
- 24 [*24] Pursuant to the MFAs, PMG nominally purchased from PAQ, PAI, and PACE during the tax years at issue aggregate accounts receivable as follows: Year A/R Purchased 2002 $18,444,093 2003 … Commissioner, 399 F.2d 603, 605 (9th Cir. 1968), afg T.C. Memo. 1967-7; Estate of Wallace v.
United States Tax CourtAgency decision · Agency decision
- 24 [*24] Pursuant to the MFAs, PMG nominally purchased from PAQ, PAI, and PACE during the tax years at issue aggregate accounts receivable as follows: Year A/R Purchased 2002 $18,444,093 2003 … Commissioner, 399 F.2d 603, 605 (9th Cir. 1968), afg T.C. Memo. 1967-7; Estate of Wallace v.
United States Tax Court
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