Documents

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

1,645 results

0.69s

  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In 1970 Lockheed indicated a willingness to sell 24 Lockheed C-130 airplanes, including ground support equipment, to the Imperial Iranian Air Force. … Giffin was an act of concealment by petitioner.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Tax Reform Act of 1986, Pub. L. 99-514, sec. 1231(e)(1), 100 Stat. 2085, 2562-2563. … Goldscheider offered expert testimony on the subject of what a reasonable royalty would be and the judge in that case commented that Mr.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Tax Reform Act of 1986, Pub. L. 99-514, sec. 1231(e)(1), 100 Stat. 2085, 2562-2563. … Goldscheider offered expert testimony on the subject of what a reasonable royalty would be and the judge in that case commented that Mr.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Tax Reform Act of 1986, Pub. L. 99-514, sec. 1231(e)(1), 100 Stat. 2085, 2562-2563. … Goldscheider offered expert testimony on the subject of what a reasonable royalty would be and the judge in that case commented that Mr.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    Petitioner At all relevant times, she was employed as a Government purchasing agent with the Marine Corps Air Station. … in a claim filed before the expiration of such period.

    United States Tax Court
  • United States Tax Court

    Agency decision · Agency decision

    Income Tax Assessment Act 1936 (Cth) s 23AA(5)(b) (Austl.). … Smith is an Air Force veteran and engineer who, in September 2009, received an offer of employment from the Raytheon Company, a private defense contractor, to work as an engineer at Pine Gap.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    All other members of the family resided in the United States throughout the period at issue. … Memo. 1993-281, that “when - 35 raising a substance over form argument, the taxpayer must have ‘clean hands’ before he is allowed to present strong proof that the form chosen does not reflect the true

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    All other members of the family resided in the United States throughout the period at issue. … Memo. 1993-281, that “when - 35 raising a substance over form argument, the taxpayer must have ‘clean hands’ before he is allowed to present strong proof that the form chosen does not reflect the true

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    All other members of the family resided in the United States throughout the period at issue. … Memo. 1993-281, that “when - 35 raising a substance over form argument, the taxpayer must have ‘clean hands’ before he is allowed to present strong proof that the form chosen does not reflect the true

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    All other members of the family resided in the United States throughout the period at issue. … Memo. 1993-281, that “when - 35 raising a substance over form argument, the taxpayer must have ‘clean hands’ before he is allowed to present strong proof that the form chosen does not reflect the true

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    In the Tax Reform Act of 1986, Pub. … 1,332,565 2 613,298 1 In 1987, IRA sold stock (identified as Hyatt Air) and received proceeds of $1,115,560.

    United States Tax Court
  • UNITED STATES TAX COURT

    Agency decision · Agency decision

    When the PSA was renegotiated for the period after its initial 2-year term, there was no comparable provision for a "Physician Access Bonus". … Ideal Cleaning Co. v. Commissioner, 30 B.T.A. 529, 531 (1934); Burnett v. Commissioner, T.C. Memo. 2002-181, affd. 67 Fed. Appx. 248 (5th Cir. 2003).

    United States Tax Court

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