Estate of Smith V. Commissioner of Internal Revenue

Estate of Smith V. Commissioner of Internal Revenue
Title Estate of Smith V. Commissioner of Internal Revenue PDF eBook
Author
Publisher
Pages 74
Release 1977
Genre
ISBN

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Smith V. Commissioner of Internal Revenue

Smith V. Commissioner of Internal Revenue
Title Smith V. Commissioner of Internal Revenue PDF eBook
Author
Publisher
Pages 44
Release 1932
Genre
ISBN

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Smith V. Commissioner of Internal Revenue

Smith V. Commissioner of Internal Revenue
Title Smith V. Commissioner of Internal Revenue PDF eBook
Author
Publisher
Pages
Release 1932
Genre
ISBN

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Smith V. United States of America

Smith V. United States of America
Title Smith V. United States of America PDF eBook
Author
Publisher
Pages 48
Release 1986
Genre
ISBN

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Estate of Marble V. Commissioner of Internal Revenue

Estate of Marble V. Commissioner of Internal Revenue
Title Estate of Marble V. Commissioner of Internal Revenue PDF eBook
Author
Publisher
Pages 32
Release 1932
Genre
ISBN

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Smith and Another V Commissioner of Internal Revenue 151 TC No 5

Smith and Another V Commissioner of Internal Revenue 151 TC No 5
Title Smith and Another V Commissioner of Internal Revenue 151 TC No 5 PDF eBook
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Pages
Release 2019
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ISBN

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Judgment by the United States Tax Court, judgment date 18 September 2019. In this case the Court granted motions for summary judgment for the IRS, finding the taxpayers' CFC in Hong Kong was not a domestic corporation or a qualified foreign corporation and thus that the CFC's distribution to the taxpayers was not qualified dividend income but was taxable to the taxpayers at ordinary income rates. The Tax Court also found that the taxpayers had received a constructive dividend from a Cypriot CFC on the cancellation of an account receivable balance owned to that CFC.

Estate of Gartland V. Commissioner of Internal Revenue

Estate of Gartland V. Commissioner of Internal Revenue
Title Estate of Gartland V. Commissioner of Internal Revenue PDF eBook
Author
Publisher
Pages 36
Release 1961
Genre
ISBN

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