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Articles 1 - 21 of 21
Full-Text Articles in Law
Selected Current Developments In Subchapter C, Donald V. Moorehead
Selected Current Developments In Subchapter C, Donald V. Moorehead
William & Mary Annual Tax Conference
No abstract provided.
Interest Free Loans, Waller H. Horsley
Interest Free Loans, Waller H. Horsley
William & Mary Annual Tax Conference
No abstract provided.
Death Or Retirement Of A Partner, Stefan F. Tucker
Death Or Retirement Of A Partner, Stefan F. Tucker
William & Mary Annual Tax Conference
No abstract provided.
Cafeteria Plans In Transition, Leon E. Irish
Cafeteria Plans In Transition, Leon E. Irish
William & Mary Annual Tax Conference
No abstract provided.
Gould V. Ruefenacht, Lewis F. Powell Jr.
Gould V. Ruefenacht, Lewis F. Powell Jr.
Supreme Court Case Files
No abstract provided.
Montana V. Blackfeet Tribe Of Indians, Lewis F. Powell Jr.
Montana V. Blackfeet Tribe Of Indians, Lewis F. Powell Jr.
Supreme Court Case Files
No abstract provided.
Sca 51 And Sb 2032 - State Tax Courts, Senate Committee On Judiciary
Sca 51 And Sb 2032 - State Tax Courts, Senate Committee On Judiciary
California Senate
No abstract provided.
Political Perspectives On State And Local Taxation Of Natural Resources, Walter Hellerstein
Political Perspectives On State And Local Taxation Of Natural Resources, Walter Hellerstein
Scholarly Works
This article investigates the questions that have dominated the political debate over state and local taxation of natural resources in the federal system. It seeks to identify areas of consensus, clarify points of disagreement, and examine proposals that could provide a basis for reconciling the competing concerns. Part I briefly considers the issues as they arise within the framework of the individual state. Part II addresses interstate and interregional conflict. Part III turns to the dialogue over the role, if any, that the federal government should play in mediating the disputes.
State Tax Reform For The Eighties: The New York Tax Study Commission, Richard Pomp
State Tax Reform For The Eighties: The New York Tax Study Commission, Richard Pomp
Faculty Articles and Papers
No abstract provided.
Bob Jones University V. U.S.: A Political Analysis, Neal Devins
Bob Jones University V. U.S.: A Political Analysis, Neal Devins
Faculty Publications
No abstract provided.
Tax Aspects Of Doing Business With The People’S Republic Of China, Richard Pomp, Timothy A. Gelatt
Tax Aspects Of Doing Business With The People’S Republic Of China, Richard Pomp, Timothy A. Gelatt
Faculty Articles and Papers
Before 1979, the People’s Republic of China did not have a logical system of taxing foreign business. That summer, a few selected American tax professors met with Chinese tax officials to explain the complexities of source rules, foreign tax credits, and tax treaties. That gave Chinese officials a detailed knowledge of intricate tax issues, and they have used this knowledge to develop China’s new tax system. Since 1979, China’s tax structure has conformed to generally accepted international structures with the adoption of three important taxes affecting foreign business activity. At first, China’s statutes and regulations did not clearly explain the …
Tax Aspects Of Doing Business With The People’S Republic Of China, Richard Pomp, Timothy A. Gelatt
Tax Aspects Of Doing Business With The People’S Republic Of China, Richard Pomp, Timothy A. Gelatt
Faculty Articles and Papers
Before 1979, the People’s Republic of China did not have a logical system of taxing foreign business. That summer, a few selected American tax professors met with Chinese tax officials to explain the complexities of source rules, foreign tax credits, and tax treaties. That gave Chinese officials a detailed knowledge of intricate tax issues, and they have used this knowledge to develop China’s new tax system. Since 1979, China’s tax structure has conformed to generally accepted international structures with the adoption of three important taxes affecting foreign business activity. At first, China’s statutes and regulations did not clearly explain the …
Who Is Injured When Racially Discriminatory Private Schools Are Tax-Exempt?, Neal Devins
Who Is Injured When Racially Discriminatory Private Schools Are Tax-Exempt?, Neal Devins
Faculty Publications
No abstract provided.
Recovery Of Basis In Non-Qualifying Stock Redemptions Under Sections 302 And 304, Frederick D. Royal
Recovery Of Basis In Non-Qualifying Stock Redemptions Under Sections 302 And 304, Frederick D. Royal
Faculty Scholarship
This Article reviews the redemption provisions of both section 302 and section 304 of the Internal Revenue Code. It discusses the existing rules for basis recovery in dividend equivalent redemptions, and highlights the situations where the recovery of the basis of the stock redeemed becomes a problem. A number of cases, revenue rulings, and hypothetical illustrations where the basis recovery of redeemed stock has created or potentially could create a problem are examined. The Article also analyzes the tax policies which may influence the structure of a basis recovery procedure in dividend equivalent redemptions, and suggests the recovery method which …
Double Benefits And Transactional Consistency Under The Tax Benefit Rule, Kenneth F. Joyce, Louis A. Del Cotto
Double Benefits And Transactional Consistency Under The Tax Benefit Rule, Kenneth F. Joyce, Louis A. Del Cotto
Journal Articles
No abstract provided.
Comments On 'Tax Neutrality Between Equity Capital And Debt', Douglas A. Kahn
Comments On 'Tax Neutrality Between Equity Capital And Debt', Douglas A. Kahn
Articles
Professor Andrews' proposals are aimed at eliminating a tax bias that affects a corporation's choice of a method of raising additional capital. Professor Andrews believes that the current tax system favors a corporation which raises capital internally by accumulating its income (or by borrowing) rather than by issuing stock. Professor Andrews seeks a neutral system that permits the choice of the manner in which capital is raised to be made on economic grounds without influence of the tax laws.
Indirect Aid To The Arts, Alan L. Feld, Michael O'Hare
Indirect Aid To The Arts, Alan L. Feld, Michael O'Hare
Faculty Scholarship
Most government support of arts institutions is indirect—the result of charitable deduction provisions of the federal income tax, property tax exemptions extended by local governments, and other tax provisions. The money that government forgoes through these provisions must be made up by higher taxes for all taxpayers. The public, however, has little say about how these funds are spent. By its very nature, the income tax deduction places the decision-making power over arts institutions in the hands of those with high incomes. Those with high incomes receive a greater tax benefit for each dollar they contribute, increasing the amounts they …
Virginia Tax Laws Affecting Churches, J. Rodney Johnson
Virginia Tax Laws Affecting Churches, J. Rodney Johnson
Law Faculty Publications
This is the second of two articles dealing with external church law in Virginia. The first article was a restatement of all Virginia laws relating to churches except for the tax laws. The subject of taxes was reserved for special treatment at that time because of the volume of tax-related materials. For the most part these materials consist of the various constitutional and statutory taxation provisions relating to religious charities and the opinions of the Virginia Attorney General interpreting and applying these provisions. Attorney General opinions take on a special importance in this study because there is only a handful …
Child Care, Work, And The Federal Income Tax, Brian Wolfman
Child Care, Work, And The Federal Income Tax, Brian Wolfman
Georgetown Law Faculty Publications and Other Works
This article explores the federal income tax treatment of employment-related child care expenses. It takes both a theoretical and historical approach, examining the various ways in which the Code has dealt with child care in relation to conventional tax notions and values at play in the community at large.
Part II outlines the history of the Code's various childcare provisions. It is a critical analysis whose purpose is to decide whether any of the provisions, which have existed, can be explained by a particular tax theory.
Part III asks whether employment-related childcare expenses can be characterized as "business" or "personal" …
Standing And Adverseness In Challenges Of Tax Exemptions For Discriminatory Public Schools, Thomas Mccoy, Neal Devins
Standing And Adverseness In Challenges Of Tax Exemptions For Discriminatory Public Schools, Thomas Mccoy, Neal Devins
Faculty Publications
No abstract provided.
Matching Of Costs And Revenues As A Goal Of Tax Accounting, Alan Gunn
Matching Of Costs And Revenues As A Goal Of Tax Accounting, Alan Gunn
Journal Articles
A central principle in accounting is that accounting methods must “clearly reflect income”. They must match a taxpayer’s revenues with the expenses of producing these revenues to determine their income. The article argues against this principle with an examination of accrual accounting methods. It looks at the role of matching in connection with two fundamental concerns of accrual accounting, the “all events” test and the principle of “clear reflection” of income. Through this examination the article notes that matching is generally irrelevant in principle, since the goal of tax accounting is to produce administratively feasible and economically sensible rules for …