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COMMENT REFORM BUT PRESERVE THE FEDERAL TAX DEDUCTION FOR CHARITABLE CONTRIBUTIONS OF HISTORIC FAÇADE EASEMENTS.
- Published in:
- Tax Lawyer, 2006, v. 59, n. 2, p. 563
- By:
- Publication type:
- Article
TAX CONTROVERSY OVERBURDENED: A CRITIQUE OF HEIGHTENED STANDARDS OF PROOF.
- Published in:
- Tax Lawyer, 2006, v. 59, n. 2, p. 497
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- Publication type:
- Article
NOTE: AN EMPLOYER'S INSURABLE INTEREST IN RANK AND FILE EMPLOYEES: TILLMAN V. CAMELOT MUSIC, INC.
- Published in:
- Tax Lawyer, 2006, v. 59, n. 2, p. 605
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- Publication type:
- Article
NOTE DIGIACOMO V. TEAMSTERS PENSION TRUST FUND OF PHILADELPHIA AND VICINITY: WHY AND How THE SUPREME COURT SHOULD RESOLVE THE CIRCUIT SPLIT OVER PRE-ERISA BREAKS IN SERVICE.
- Published in:
- Tax Lawyer, 2006, v. 59, n. 2, p. 589
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- Publication type:
- Article
WHEN DO TAX DEFICIENCIES ACTUALLY ACCRUE? RESOLVING THE RECENT CIRCUIT SPLIT OVER THE ACCUMULATED EARNINGS TAX.
- Published in:
- Tax Lawyer, 2006, v. 59, n. 2, p. 541
- By:
- Publication type:
- Article
NOTE: ALL HANDS ON DECK: RESCUING THE REVENUE RULE FROM THE SUPREME COURT'S DECISION IN PASQUANTINO.
- Published in:
- Tax Lawyer, 2006, v. 59, n. 2, p. 621
- By:
- Publication type:
- Article
EQUIPMENT FEE CLAUSES IN U.S. TAX TREATIES: THE UNMOLDED PROGENY OF MADAME TUSSAUD?
- Published in:
- Tax Lawyer, 2006, v. 59, n. 2, p. 419
- By:
- Publication type:
- Article
INCOME TAX CLAIMS IN THE YEAR OF BANKRUPTCY: A CONGRESSIONALLY CREATED QUAGMIRE.
- Published in:
- Tax Lawyer, 2006, v. 59, n. 2, p. 329
- By:
- Publication type:
- Article