The Low-Income Tax Gap: The Hybrid Nature of the Earned Income Tax Credit Leads to Its Exclusion from Due Process Protection.Published in:2011By:Newman, MeganPublication type:Opinion
Risk, Ownership, Equity: 2011 Erwin N. Griswold Lecture.Published in:2011By:KINGSON, CHARLES I.Publication type:Speech
Something Rotten in the Netherlands: The Case of X & Passenheim-van Schoot and the Demise of EU Taxpayer Rights Under the EU Treaty.Published in:Tax Lawyer, 2011, v. 64, n. 3, p. 747By:Gill, DaniellePublication type:Article
The Statute of Limitations for the TEFRA Partnership Proceedings: The Interplay Between Section 6229 and Section 6501.Published in:2011By:Afihar, AnisaPublication type:Opinion
A Riff on Cliff: Calloway and Anschutz Expand Tax Ownership Authorities from Debt to Equities.Published in:Tax Lawyer, 2011, v. 64, n. 3, p. 657By:LEEDS, MARKPublication type:Article
Recognizing Roth IRAs as S corporation Shareholders: A Critique of Taproot v. Commissioner.Published in:Tax Lawyer, 2011, v. 64, n. 3, p. 765By:Tucker, ShannonPublication type:Article
Circular Cash Flows and the Federal Income Tax.Published in:Tax Lawyer, 2011, v. 64, n. 3, p. 535By:CUMMINGS JR., JASPER L.Publication type:Article