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The Future Of Source-Based Taxation Of The Income Of Multinational Enterprises, Robert Green Dec 2014

The Future Of Source-Based Taxation Of The Income Of Multinational Enterprises, Robert Green

Robert A. Green

No abstract provided.


The Interaction Of Tax And Non-Tax Treaties, Robert A. Green Dec 2014

The Interaction Of Tax And Non-Tax Treaties, Robert A. Green

Robert A. Green

This background note consists of two parts. Part one provides an overview of the extent to which tax matters are currently covered in non-tax treaties. This discussion focuses on the general agreement on tariffs and trade (GATT)/World Trade Organization (WTO) agreement and the North American free trade agreement (NAFTA) (which cover direct tax measures only to a limited extent) and the European Community (EC) treaty (which covers direct tax measures more broadly). Part two outlines the issues raised when tax matters are covered in non-tax treaties.


Justice Blackmun's Federal Tax Jurisprudence, Robert A. Green Dec 2014

Justice Blackmun's Federal Tax Jurisprudence, Robert A. Green

Robert A. Green

During his tenure on the Supreme Court, Justice Blackmun was widely regarded as the Court's authority on tax matters. Justice Blackmun viewed tax law not merely as a technical specialty, but as a microcosm of the legal system. His numerous tax opinions involve a wide range of issues of constitutional law, criminal law, administrative procedure, court procedure, and statutory interpretation. This Article begins by discussing two of Justice Blackmun's tax opinions involving constitutional issues. Justice Blackmun refused to create special constitutional rules for tax cases. Instead, he applied generally applicable principles, but with great sensitivity to how those principles would …


Don't Leave Money On The Table! Irs [Mis]Computation Of Interest, Robert D. Probasco Dec 2014

Don't Leave Money On The Table! Irs [Mis]Computation Of Interest, Robert D. Probasco

Robert Probasco

No abstract provided.


The Matthew Effect And Federal Taxation, Martin J. Mcmahon Jr. Dec 2014

The Matthew Effect And Federal Taxation, Martin J. Mcmahon Jr.

Martin J. McMahon

The “Matthew Effect” is a synonym for the well-known colloquialism, “the rich get richer and the poor get poorer.” This Article is about the Matthew Effect in the distribution of incomes in the United States and the failure of the federal tax system to address the problem. There has been a strong Matthew Effect in incomes in the United States over the past few decades, with an increasing concentration of income and wealth in the top one percent. Nevertheless, there has been a continuing trend of enacting disproportionately large tax cuts for those at the top of the income pyramid. …


Corporate Tax Aggressiveness - Recent History And Policy Options, Richard Harvey Nov 2014

Corporate Tax Aggressiveness - Recent History And Policy Options, Richard Harvey

Richard Harvey

No abstract provided.


Irs Tax Relief - Tips For Taxpayers - Tax Relief Programmes, Lissa Coffey Nyu School Of Law Nov 2014

Irs Tax Relief - Tips For Taxpayers - Tax Relief Programmes, Lissa Coffey Nyu School Of Law

LissaCoffey

IRS TAX RELIEF - TIPS FOR TAXPAYERS - TAX RELIEF PROGRAMMES ... it seems many of us look for ways to get more income back from the Internal Revenue Service (IRS) ... IRS Tax Relief Help ... will spot preventing the lies and tricks that agents sometimes use to try and cheat taxpayers who need vital reduced back taxes. Back Taxes : Settle Tax Debt and IRS Problems. Expiration of Back Taxes; IRS Help; IRS Tax Relief FAQs; Back Taxes: Settle Tax Debt and IRS Problems Owe IRS Back Taxes? ... Once an IRS Payment Plan (also known as an …


Tax Debt Help – Settlement & Negotiation, Lissa Coffey Nov 2014

Tax Debt Help – Settlement & Negotiation, Lissa Coffey

LissaCoffey

Get helpful tips, advice and help with debt or any kind of irs help on setting up payment plans, requesting affordable installment agreements, reducing your tax debts through an Offer in Compromise, or discharging your tax debts through bankruptcy. Tags: GET-OUT-OF-IRS-TAX-DEBT, irs tax help, tax relief help, IRS-PAYMENT-PLAN, irs debt, irs help, help with debt, help with tax debt


The Intersection Of Tax And Bankruptcy: The Mccoy Rule, John Ferguson Oct 2014

The Intersection Of Tax And Bankruptcy: The Mccoy Rule, John Ferguson

John Ferguson

No abstract provided.


Pro & Con: Should Congress Adopt A New Tax Credit For Buying A Home? Yes: No Recovery Is Possible If Homeowners Lose Their Homes, Jessica D. Gabel Oct 2014

Pro & Con: Should Congress Adopt A New Tax Credit For Buying A Home? Yes: No Recovery Is Possible If Homeowners Lose Their Homes, Jessica D. Gabel

Jessica Gabel Cino

No abstract provided.


The Intersection Of Tax And Bankruptcy: The Mccoy Rule, John Ferguson Sep 2014

The Intersection Of Tax And Bankruptcy: The Mccoy Rule, John Ferguson

John Ferguson

No abstract provided.


The Origins Of Affirmative Fiscal Action, Mirit Eyal-Cohen Aug 2014

The Origins Of Affirmative Fiscal Action, Mirit Eyal-Cohen

Mirit Eyal-Cohen

This article highlights an anomaly. It shows that two tax rules aimed to achieve a similar goal were introduced at the same time. Both meant to be temporary and bring economic stimuli, but received a dramatically different treatment. The less efficient or economically inferior survived. Its superior counterpart did not. The article reviews the reasons for this paradox. It shows that the reason is both political and an agency problem. The article not only enriches an important and ongoing debate that has received much attention in recent years, but also provides important lessons to policymakers.


Mutual Funds, Fairness, And The Income Gap, Samuel D. Brunson Jul 2014

Mutual Funds, Fairness, And The Income Gap, Samuel D. Brunson

Samuel D. Brunson

The rich, it turns out, are different from the rest of us. The wealthy, for example, can assemble a diversified portfolio of securities or can invest through hedge and private equity funds. When the rest of us invest, we do so largely through mutual funds. Nearly half of American households own mutual funds, and mutual funds represent a significant portion of the financial assets held by U.S. households. The tax rules governing mutual funds create an investment vehicle with significantly worse tax treatment than investments available to the wealthy. In particular, the tax rules governing mutual funds force shareholders to …


List Of The Most Popular Irs Tax Forms & Pubs, Lissa Coffey Jul 2014

List Of The Most Popular Irs Tax Forms & Pubs, Lissa Coffey

LissaCoffey

Here are links to the most common tax forms needed to prepare your income tax returns. All tax forms are in the portable document format (PDF) and require Adobe Acrobat Reader. You can use Acrobat Reader to view the documents and print documents. Most of the IRS forms also allow you to type in your information and save a copy with your data to your computer


Federal Income Tax: A Contemporary Approach, Samuel Donaldson, Donald Tobin Jul 2014

Federal Income Tax: A Contemporary Approach, Samuel Donaldson, Donald Tobin

Donald B. Tobin

Federal Income Taxation: A Contemporary Approach uses several modern platforms to introduce students to the federal income taxation of individuals. After a general overview, the book takes two more passes through the system, each in increasing detail. This helps students see the overall structure early in their studies and gives context to new concepts as they are introduced. Helpful self-assessment questions allow students to measure their own comprehension and save valuable class time for more advanced discussions. Almost 100 detailed problems for class discussion require students to apply Code and Regulation provisions to real-life fact patterns. PLEASE NOTE: If you …


Teacher's Manual To Federal Income Tax, A Contemporary Approach, Samuel Donaldson, Donald Tobin Jul 2014

Teacher's Manual To Federal Income Tax, A Contemporary Approach, Samuel Donaldson, Donald Tobin

Donald B. Tobin

Teacher's Manual to accompany Federal Income Tax, a Contemporary Approach.


Principles Of Federal Income Taxation, 6th Edition, Daniel Posin, Donald Tobin Jul 2014

Principles Of Federal Income Taxation, 6th Edition, Daniel Posin, Donald Tobin

Donald B. Tobin

Includes analysis of cases and concepts of the leading casebooks, explanations with amplified diagrams and flow charts, and extensive treatment of the time value of money issues. Explores exotic Wall Street techniques employed to avoid capital gains. In clear language, this book explains equity swaps, shorting against the box, swap funds, and DECS. Presents, among other high-profile situations, a case study of how former Treasury Secretary William Simon and his partners made $700 million in profits on the sale of the Avis car rental agency less than two years after they bought it and paid no taxes.


Tax Recognition, Barry Cushman Jun 2014

Tax Recognition, Barry Cushman

Barry Cushman

This article was prepared for the St. Louis University Law Journal’s “Teaching Trusts & Estates” issue. Many law students take a course in Trusts & Estates, but comparatively few enroll in a class devoted to the federal wealth transfer taxes. For most law students, the Trusts & Estates course provides the only opportunity for exposure to some of the basic features of the estate tax, the gift tax, the generation-skipping transfer tax, and some related features of the income tax. The coverage demands of the typical Trusts & Estates course do not allow for intensive discussion of these issues, but …


Comments Regarding Circular 230 Restrictions On Contingent Fees, Robert D. Probasco Jun 2014

Comments Regarding Circular 230 Restrictions On Contingent Fees, Robert D. Probasco

Robert Probasco

Section 10.27(b)(l) of Circular 230 prohibits, with certain exceptions, charging a contingent fee for services rendered in connection with any matter before the Internal Revenue Service (the "Service"). The "audit exception," in Section 10.27(b )(2), allows a practitioner to charge a contingent fee for services rendered in connection with the Service's examination of, or challenge to, either an original tax return or an amended return (or claim for refund or credit) filed within 120 days of the taxpayer receiving a written notice of the examination of, or a written challenge to, the original tax return.

We understand the Service's concerns …


Those Who Know, Those Who Don't, And Those Who Know Better: Balancing Complexity, Sophistication, And Accuracy On Tax Returns, Michelle L. Drumbl Apr 2014

Those Who Know, Those Who Don't, And Those Who Know Better: Balancing Complexity, Sophistication, And Accuracy On Tax Returns, Michelle L. Drumbl

Michelle L. Drumbl

Refundable credits, particularly the earned income tax credit (EITC) and the child tax credit, serve an important anti-poverty measure for low-income taxpayers. Annually, millions of taxpayers who do not owe any federal income tax must file a tax return in order to claim these credits that are in the nature of social benefits. The eligibility requirements for refundable credits are complex, and these returns are particularly prone to audit: EITC audits comprise one-third of all individual income tax audits. Because of the large dollar amounts at stake, a taxpayer’s mistaken understanding of the eligibility requirements for these refundable credits can …


Does The Failure To Timely Issue Notice And Demand Impact The Underlying Assessment Rather Than The Just Liens Or Levies?, T. Keith Fogg Mar 2014

Does The Failure To Timely Issue Notice And Demand Impact The Underlying Assessment Rather Than The Just Liens Or Levies?, T. Keith Fogg

T. Keith Fogg

This article analyzes the impact a failure to send notice and demand might have on the validity of an assessment.


Less Is More: Applying A Modified Reasonable Compensation Standard To Eliminate The Inconsistencies In The Payroll And Net Investment Income Tax Bases, John S. Treu Mar 2014

Less Is More: Applying A Modified Reasonable Compensation Standard To Eliminate The Inconsistencies In The Payroll And Net Investment Income Tax Bases, John S. Treu

John S. Treu

The original policy for the implementation of payroll taxes was to impose a tax on wages as both a funding mechanism for, and a limitation to, qualifying for social security. However, the self-employment tax base developed severe inconsistencies with this original policy and among different tax entities by including certain returns on capital investments in the tax base. At present, different payroll tax obligations arise for similarly situated tax payers based solely on the type of entity the owner elects to be taxed as under the check-the-box regulations. These inconsistencies resulted from misguided efforts by congress and the treasury to …


Quoted In Daily Tax Report On Irs Facing Setbacks For Economic Substance Strategy, Robert D. Probasco Jan 2014

Quoted In Daily Tax Report On Irs Facing Setbacks For Economic Substance Strategy, Robert D. Probasco

Robert Probasco

No abstract provided.


Quoted In Daily Tax Report On The Fifth Circuit After 'Woods', Robert D. Probasco Jan 2014

Quoted In Daily Tax Report On The Fifth Circuit After 'Woods', Robert D. Probasco

Robert Probasco

No abstract provided.


5 Myths About Payout Rules For Donor Advised Funds, Ray Madoff Jan 2014

5 Myths About Payout Rules For Donor Advised Funds, Ray Madoff

Ray D. Madoff

No abstract provided.


Tax Issues Facing Clients Of Legal Services, T. Fogg Dec 2013

Tax Issues Facing Clients Of Legal Services, T. Fogg

T. Keith Fogg

This article seeks to highlight tax issues facing clients of legal services. It discusses several specific issues that routinely arise. The article also discusses some of the challenges facing attorneys within legal services that take on a tax clinic and offers some advice on how to address those challenges.


A Calendar Call Staffing Success Story, T. Keith Fogg Dec 2013

A Calendar Call Staffing Success Story, T. Keith Fogg

T. Keith Fogg

This short article appeared in 33(2) ABA Section of Taxation NewsQuarterly (Winter 2014), p. 13.


The Futility Of Tax Protester Arguments, Allen Madison Dec 2013

The Futility Of Tax Protester Arguments, Allen Madison

Allen Madison

Tax protesters offer uncommonly silly arguments in support of their positions -- so silly, in fact, that courts commonly refuse to address them, lest those arguments be given any credence. Yet the wave of tax protester arguments has not ebbed, and tax protesters continue to challenge, for example, the legal obligation to pay taxes, the constitutionality of the income tax, and the authority of the IRS to enforce the tax laws.

Maybe some education will help solve this problem. This Article provides a framework for analyzing tax protester arguments through a civics discussion and explains why tax protester arguments fail …


Quoted In Law360.Com Article On Regulation Of Tax Return Preparers, Robert D. Probasco Dec 2013

Quoted In Law360.Com Article On Regulation Of Tax Return Preparers, Robert D. Probasco

Robert Probasco

No abstract provided.