American Federal Tax ReportsPrentice-Hall, 2004 |
From inside the book
Results 1-3 of 71
Page 2003-5256
... present economic benefit is a fu- ture interest and ineligible for the gift tax exclusion . The Hackls ' initial argument is that § 2503 ( b ) ( 1 ) automatically allows the gift tax exclusion for their transfers . The Hackls argue that ...
... present economic benefit is a fu- ture interest and ineligible for the gift tax exclusion . The Hackls ' initial argument is that § 2503 ( b ) ( 1 ) automatically allows the gift tax exclusion for their transfers . The Hackls argue that ...
Page 2003-6158
... present any evi- dence or object to govt.'s failure to offer evidence regarding his objections . Refer- ence : United States Tax Reporter 173,446.516 ( 55 ) . United States Court of Appeals FOR THE EIGHTH CIRCUIT , Appeal from the ...
... present any evi- dence or object to govt.'s failure to offer evidence regarding his objections . Refer- ence : United States Tax Reporter 173,446.516 ( 55 ) . United States Court of Appeals FOR THE EIGHTH CIRCUIT , Appeal from the ...
Page 2003-7292
... present action , but also to Johnson Four and Johnson Six . Insofar as the Motion concerns the present case , Johnson seems merely to re - iterate his causes of action ( which are discussed be- low ) . The Motion is therefore deemed ...
... present action , but also to Johnson Four and Johnson Six . Insofar as the Motion concerns the present case , Johnson seems merely to re - iterate his causes of action ( which are discussed be- low ) . The Motion is therefore deemed ...
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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