Two Discourses to Townsmen. ...J. & B. Williams, printers., 1985 - 20 pages |
From inside the book
Results 1-3 of 6
Page 43-141
... recommend that the IRS rule as requested by the taxpayer , rule adversely on the matter , or not rule , ( b ) whether the taxpayer should submit additional information or representations to enable the IRS to rule on the matter ; or ( c ) ...
... recommend that the IRS rule as requested by the taxpayer , rule adversely on the matter , or not rule , ( b ) whether the taxpayer should submit additional information or representations to enable the IRS to rule on the matter ; or ( c ) ...
Page 43-331
... recommend that the IRS rule as requested by the taxpayer , rules adversely on the matter , or not rule ; ( b ) whether the taxpayer should submit additional information or representations to enable the IRS to rule on the matter ; or ( c ) ...
... recommend that the IRS rule as requested by the taxpayer , rules adversely on the matter , or not rule ; ( b ) whether the taxpayer should submit additional information or representations to enable the IRS to rule on the matter ; or ( c ) ...
Page 46-255
... recommended by the National Association of Insurance Commissioners ( NAIC ) and adopted by a majority of the States . Reserve method . - With respect to the reserve method to be used , the bill prescribes specific tax reserve meth- ods ...
... recommended by the National Association of Insurance Commissioners ( NAIC ) and adopted by a majority of the States . Reserve method . - With respect to the reserve method to be used , the bill prescribes specific tax reserve meth- ods ...
Contents
1986 CONTENTS86 VOL | 43-6 |
Abbreviations used in this Reporter are listed at | 43-20 |
Code Sec Paragraph | 43-32 |
Copyright | |
67 other sections not shown
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Common terms and phrases
accumulation distribution Adjusted Payout Rate allocated allowed apply attributable basis capital account capital gains capital loss CCH Explanation charitable contributions charitable remainder trust Code Sec computed corporation death decedent decedent's December 31 Declared obsolete deduction described in section determined distributable net income distributed currently distributive share dividends estate or trust estate tax example expenses fair market value fiduciary governing instrument grantor gross income included income in respect income tax items of income obligation obsolete by Rev ordinary income owner paid paragraph partner partnership agreement payable payments percent pooled income fund portion preceding taxable prior property transferred received regulations remainder interest rules spouse subparagraph subpart tax purposes Tax Reform Act tax-exempt interest taxable income taxes imposed taxpayer TC Memo termination testamentary trust tion treated trust income trust instrument U.S. person undistributed unitrust amount USTC