American Federal Tax ReportsPrentice-Hall, 2004 |
From inside the book
Results 1-3 of 69
Page 2003-6150
... matter jurisdiction . Subject matter jurisdiction is not waivable and may be raised at any time by a party or by the court sua sponte . If subject matter ju- risdiction is [ found to be ] lacking , the ac- tion must be dismissed ...
... matter jurisdiction . Subject matter jurisdiction is not waivable and may be raised at any time by a party or by the court sua sponte . If subject matter ju- risdiction is [ found to be ] lacking , the ac- tion must be dismissed ...
Page 2003-6512
... matter . It is protected from disclosure under ยง 7525 . It is recommended that it need not be pro- duced . Documents 568 , 569 and 571 are dupli- cate letters from a tax advisor to a tax payer regarding a tax matter . They discuss tax ...
... matter . It is protected from disclosure under ยง 7525 . It is recommended that it need not be pro- duced . Documents 568 , 569 and 571 are dupli- cate letters from a tax advisor to a tax payer regarding a tax matter . They discuss tax ...
Page 2003-6514
... matter caption of the email states that the email relates to " Investment in ' Backend ' Call Options " . The e - mails have nothing to do with tax advice to a tax client about a tax matter . It is recommended that this document be pro ...
... matter caption of the email states that the email relates to " Investment in ' Backend ' Call Options " . The e - mails have nothing to do with tax advice to a tax client about a tax matter . It is recommended that this document be pro ...
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Common terms and phrases
5th Cir 92 AFTR action AFTR 2d agreement alleged Amendment amount appeal argues argument asserts assessment attorney Bktcy Ct Circuit Cite as 92 claim Code Comm'r Commissioner complaint Corp corporation Court found creditors debtor decision deduction defendant defendant's denied determination Docket documents Eastern Dist entitled ern Dist evidence fact Farkas Fed Appx federal tax filed findings funds Govt granted hearing income tax interest Internal Revenue Code Internal Revenue Service IRS's issue June jurisdiction Kanter Lisle ment Middle Dist motion for summary Northern Dist partnership party payment penalty person petition plaintiffs pro se provides pursuant received records request Rule sovereign immunity statute STJ's summary judgment Supp Tax Court tax liability tax lien Tax Reporter tax returns taxable taxpayer Texas Tilley tion transaction trial trust U.S. District Court UNITED STATES DISTRICT United States Tax