American Federal Tax ReportsPrentice-Hall, 2003 |
From inside the book
Results 1-3 of 69
Page 2003-2009
... period , in accordance with Chart II infra ; ( 2 ) check number 1054 was exhausted in 1 | 2003-747 the midst of its application to the 941 tax for the 8609 tax period , in accordance with Chart III infra ; and ( 3 ) the remainder of the ...
... period , in accordance with Chart II infra ; ( 2 ) check number 1054 was exhausted in 1 | 2003-747 the midst of its application to the 941 tax for the 8609 tax period , in accordance with Chart III infra ; and ( 3 ) the remainder of the ...
Page 2003-2036
... period in any way other then in the instant case assert the same analogy applies here . Debtors argue the 240 days Cite as 91 AFTR 2d 2003-2037. 12003-752 gues that while the ruling in Energy Re- sources did give bankruptcy courts the au ...
... period in any way other then in the instant case assert the same analogy applies here . Debtors argue the 240 days Cite as 91 AFTR 2d 2003-2037. 12003-752 gues that while the ruling in Energy Re- sources did give bankruptcy courts the au ...
Page 2003-2627
... period should be disregarded , and the income reported for that period should be properly allocated to the December 31 , 1993 period , and all of the 1993 deductions should be allowed . The Commissioner also determined that the losses ...
... period should be disregarded , and the income reported for that period should be properly allocated to the December 31 , 1993 period , and all of the 1993 deductions should be allowed . The Commissioner also determined that the losses ...
Contents
AFTR2d Parallel Citations Tables 11 | 2003-275 |
Case Table for Volume 91 AFTR2d 51 | 2003-283 |
Income Tax Decisions | 2003-301 |
Copyright | |
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Common terms and phrases
2d Cir 5th Cir 91 AFTR action affirmed AFTR 2d agreement alleged amended amount apply Appx argues argument asserts assessment attorney audit Bank Bankr Bankruptcy Court Bktcy Ct Chevron Circuit Cite as 91 claim Code Commissioner complaint Corp counsel debtor Decision for Govt deduction defendant defendant's denied determination District Judge documents employees evidence fact filed Gambones granted hearing income tax injunction interest Internal Revenue Code Internal Revenue Service IRS's issue Judicial Watch jurisdiction jury KPMG litigation ment motion for summary notice partnership party payments penalty petition Plaintiff privilege proceeding pursuant reasonable received request Rule ruptcy Section Southern Dist statute summary judgment summons Supp tar sands Tax Court tax liability Tax Reporter tax returns taxpayer tion transaction trial trucks Trustee U.S. District Court UNITED STATES DISTRICT United States Tax violation