Works matching DE "UNITED States. Tax Court"
Results: 180
Valuation of Preservation Easements After Whitehouse Hotel Limited Partnership.
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- Appraisal Journal, 2009, v. 77, n. 4, p. 319
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TAX TALK AND REPRODUCTIVE TECHNOLOGY.
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- Boston University Law Review, 2019, v. 99, n. 4, p. 1757
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Developing the Duffy Defect: Identifying Which Government Workers Are Constitutionally Required to Be Appointed.
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- Missouri Law Review, 2011, v. 76, n. 4, p. 1143
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Interbranch Removal and the Court of Federal Claims: "Agencies in Drag".
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- Yale Law Journal, 2015, v. 125, n. 1, p. 313
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Tax and Financial Planning for Same-Sex Couples in Light of Windsor.
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- Journal of Financial Service Professionals, 2013, v. 67, n. 5, p. 64
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Is That Gift a Present Interest?
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- Journal of Financial Service Professionals, 2010, v. 64, n. 3, p. 11
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Section 72(t) Update: Life Happens.
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- Journal of Financial Service Professionals, 2009, v. 63, n. 6, p. 26
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Federal Taxation.
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- Mercer Law Review, 2014, v. 65, n. 4, p. 1013
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GIVE TAXPAYERS A BREAK: PUTTING THE RELIANCE ELEMENT BACK INTO THE REASONABLE RELIANCE AND GOOD FAITH DEFENSE.
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- Akron Tax Journal, 2013, v. 28, p. 123
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RECENT DEVELOPMENTS CONCERNING THE ESTATE TAX INCLUSION OF TRANSFERS TO A FAMILY LIMITED PARTNERSHIP.
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- Akron Tax Journal, 2011, v. 26, p. 42
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The Transition to a Remote Tax Court.
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- Journal of Tax Practice & Procedure, 2021, v. 23, n. 1, p. 37
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Third-Party Fraud and APTC Repayment Liability.
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- Journal of Tax Practice & Procedure, 2018, v. 20, n. 3, p. 47
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Practice: Doubt as to Liability Offer in Compromise: An Under-Utilized Tool for Correcting IRS Assessments.
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- Journal of Tax Practice & Procedure, 2018, v. 20, n. 3, p. 23
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IRS Watch: Chief Counsel Notice Provides Guidance to Counsel Attorneys in the Aftermath of Graev III.
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- Journal of Tax Practice & Procedure, 2018, v. 20, n. 3, p. 15
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The Importance of Lingering TEFRA Partnership Procedures: Exploring Who Can File Court Petitions and the Consequences for Mistakes.
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- Journal of Tax Practice & Procedure, 2017, v. 19, n. 6, p. 25
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Doing Your Homework: Witnesses in the U.S. Tax Court.
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- Journal of Tax Practice & Procedure, 2017, v. 19, n. 4, p. 27
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Examination: The "Hobby Loss" Examination Audits of Activities Not Engaged in for Profit.
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- Journal of Tax Practice & Procedure, 2017, v. 19, n. 3, p. 5
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Tax Court Decisions "Shall Be Made As Quickly As Practicable"--A Discussion of Bench Opinions.
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- Journal of Tax Practice & Procedure, 2015, v. 17, n. 1, p. 41
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Penalties.
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- Journal of Tax Practice & Procedure, 2015, v. 17, n. 1, p. 23
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Court Jurisdiction: It's Not Just for Law Professors.
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- Journal of Tax Practice & Procedure, 2014, v. 16, n. 6, p. 23
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The Last Known Address: A Joint Effort Between the IRS and the U.S. Postal Service.
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- Journal of Tax Practice & Procedure, 2014, v. 16, n. 2, p. 33
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Penalties.
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- Journal of Tax Practice & Procedure, 2013, v. 15, n. 1, p. 15
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Collection.
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- Journal of Tax Practice & Procedure, 2013, v. 15, n. 1, p. 7
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Canal Corp. and Penalty Protection.
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- Journal of Tax Practice & Procedure, 2010, v. 12, n. 6, p. 33
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Recent Tax Court Innocent Spouse Rulings Under Code Sec. 6015(f) Have Made Code Sec. 6015(b) and (c) Virtually Superfluous.
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- Journal of Tax Practice & Procedure, 2009, v. 11, n. 4, p. 29
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Scope of Pretrial Discovery: A Key Difference in Litigating Tax Cases in the Tax Court and Refund Tribunals.
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- Journal of Tax Practice & Procedure, 2009, v. 11, n. 2, p. 39
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Special Trial Judges in the Tax Court: Transparency Revealed or Clouded?
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- Journal of Tax Practice & Procedure, 2009, v. 11, n. 2, p. 27
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Does the Tax Court's Use of Its Golsen Rule in Unappealable Small Tax Cases Hurt the Poor?
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- Journal of Tax Practice & Procedure, 2009, v. 11, n. 1, p. 35
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Two More Blows to Foreign Account Holders: Tax Court Lacks FBAR Jurisdiction and Bankruptcy Offers No Relief from FBAR Penalties.
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- Journal of Tax Practice & Procedure, 2009, v. 11, n. 1, p. 27
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Examination.
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- Journal of Tax Practice & Procedure, 2008, v. 10, n. 6, p. 9
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Tax Court Privacy and Public Access.
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- Journal of Tax Practice & Procedure, 2008, v. 10, n. 3, p. 45
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THE BODY IN QUESTION: THE INCOME TAX AND HUMAN BODY MATERIALS.
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- Law & Contemporary Problems, 2017, v. 80, n. 1, p. 37
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Update on U.S. Tax Court's Opinion in Altera.
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- ABA Tax Times, 2018, v. 38, n. 1, p. 15
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Estate Portability: Sowers Reap Unexpected Harvest in Estate of Sower v. Commissioner.
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- ABA Tax Times, 2018, v. 37, n. 2, p. 6
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Symbolic Concept Acquisition: A New Approach to Determining Underlying Tax Law Constructs.
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- Journal of the American Taxation Association, 1989, v. 11, n. 1, p. 77
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The Application of a Predictive S Corporation Premium Model and the Behavioral Considerations in Acquisitions of Private Corporations.
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- Business Journal for Entrepreneurs, 2010, v. 2010, n. 1, p. 1
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Practice and Procedure in the U.S. Tax Court.
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- 2015
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- Book Review
Timing of Interest Income for Holders of Credit Card Receivables.
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- Journal of Taxation & Regulation of Financial Institutions, 2014, v. 27, n. 4, p. 27
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WRESTLING ANTAEUS: THE NECESSITY OF APPOINTED COUNSEL IN CIVIL TAX DISPUTES.
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- Valparaiso University Law Review, 2016, v. 51, n. 1, p. 207
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Tax Valuation.
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- Journal of Practical Estate Planning, 2009, v. 11, n. 2, p. 15
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Tax Controversy Corner: Let's Not Forget, Partnerships Are Not the Only Passthrough Entities Subject to IRS Examination.
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- Journal of Passthrough Entities, 2018, v. 21, n. 2, p. 65
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Tax Controversy Corner: More Bad News for Two Fallen Sprint Executives.
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- Journal of Passthrough Entities, 2017, v. 20, n. 6, p. 47
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Like-Kind Exchange Corner: Malulani and the Entrenchment of Mechanical Analysis of Related-Party Exchange Rules.
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- Journal of Passthrough Entities, 2017, v. 20, n. 3, p. 13
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Like-Kind Exchange Corner Bartell and the Expansion of Facilitated Exchanges.
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- Journal of Passthrough Entities, 2017, v. 20, n. 1, p. 13
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Acquisitions, Dispositions & Structuring Techniques Corner Do Not Buy Replacement Property from a Related Party—Ever!
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- Journal of Passthrough Entities, 2017, v. 20, n. 1, p. 7
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Estate & Succession Planning Corner.
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- Journal of Passthrough Entities, 2015, v. 18, n. 6, p. 13
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Tax Controversy Corner.
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- Journal of Passthrough Entities, 2014, v. 17, n. 4, p. 65
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Estate & Succession Planning Corner.
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- Journal of Passthrough Entities, 2014, v. 17, n. 4, p. 13
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Recent Developments & Observations.
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- Journal of Passthrough Entities, 2012, v. 15, n. 6, p. 63
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Recent Developments & Observations.
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- Journal of Passthrough Entities, 2011, v. 14, n. 3, p. 57
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- Article