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Full-Text Articles in Law

Car Depreciation, Georgia Maistros Jan 1989

Car Depreciation, Georgia Maistros

Akron Tax Journal

Every businessperson is concerned about his or her taxable deductions. Depreciation is one of those deductions. Depreciation is the reasonable allowance deducted every year for the exhaustion and wear and tear as property becomes obsolete.' In 1988, there are many depreciation methods in use. A businessperson must be familiar with all of these methods in order to be able to be in full compliance with the tax law. The average businessperson is in awe of the tax code and will more than likely call up on a qualified tax professional to do his or her taxes. The accountant, CPA, or …


Transfer Or Redemption For A Withdrawing Partner: An Indifference Econometric Decision Model Built On The Position Improvement Equilibrium ("Pie") Concept, Jayprakash G. Patankar, Charles K. Moore, James W. Childs Jan 1989

Transfer Or Redemption For A Withdrawing Partner: An Indifference Econometric Decision Model Built On The Position Improvement Equilibrium ("Pie") Concept, Jayprakash G. Patankar, Charles K. Moore, James W. Childs

Akron Tax Journal

The preferred way for a withdrawing partner to leave a partnership is normally thought to be by way of redemption under Internal Revenue Code Section 736 rather than as a transfer under Section 741 The advantage to the continuing partnership lies in the deductability of the payment to the withdrawing partner for goodwill. The withdrawing partner benefits from a higher exchange price, increased by the tax benefits of redemption treatment. However, the following three factors tilt the preference back toward a 741 transfer for both parties: individual obligation of portions of the exchange price, with additional basis, goodwill negotiations and …


Some Legislative Implications Of The History Of The Judicial Interpretation Of Section 1221, Hans-Dieter Sprohge Jan 1989

Some Legislative Implications Of The History Of The Judicial Interpretation Of Section 1221, Hans-Dieter Sprohge

Akron Tax Journal

This article consists of six sections. The first section briefly indicates the economic significance of the correct classification of property as either a capital or an excluded asset. In the second section, the definition of a capital asset and the list of properties specifically excluded from the definition are presented and analyzed. The analysis demonstrates how the present formulations of the definition of an excluded asset can be given a broad and a narrow interpretation. The third section discusses how the Corn Products decision was conventionally construed to be based on a broad interpretation of the definition of an excluded …


Complexity And Compliance Issues In The U.S. Tax System, Marie Rady Jan 1989

Complexity And Compliance Issues In The U.S. Tax System, Marie Rady

Akron Tax Journal

This article is a compilation of views about the current tax system. In addition, this article seeks to identify what we are or should be doing about the complexity and compliance problems inherent in our tax system, and offers approaches from various groups posed to alleviate some of the complexity and compliance problems.


Attacking The Tax Gap, Tom Weiksnar, Todd Van Valkenburg Jan 1989

Attacking The Tax Gap, Tom Weiksnar, Todd Van Valkenburg

Akron Tax Journal

Today a radio station played something extraordinary, an Internal Revenue Service (IRS) advertisement promoting taxes. "Help someone with their taxes, there is no telling what the returns may be." At last, after five years of American Bar Association (ABA) research, the Tax Reform Act of 1986 (TRA'86), and countless private studies, the IRS seems to be taking an affirmative step in dealing with tax noncompliance. Moreover, the IRS realizes the answer lies in the attitudes of the taxpayers, as well as in the collection system itself. This news is truly exciting.

Specific arenas of taxation like gift and estate tax, …


Family Attribution, Alan Sunukjian Jan 1989

Family Attribution, Alan Sunukjian

Akron Tax Journal

The concept of attribution (constructive ownership) is one of the most difficult concepts to understand and correctly apply in tax law today. Attribution is the imposition of stock ownership upon an individual or entity from another individual or entity for taxation purposes. This concept is further complicated when the already attributed stock is reattributed to a third individual or entity.

Attribution is premised upon control. It is similar to the incidents of ownership doctrine found throughout the estate and gift tax code. Under this doctrine an insured party is presumed to have control over an insurance policy when he or …


The Deductibility Of A Worthless Right To Contribution For Joint Income Taxes: The Mistaken Line Of Cases Under Rude V. Commissioner, Richard C.E. Beck Jan 1989

The Deductibility Of A Worthless Right To Contribution For Joint Income Taxes: The Mistaken Line Of Cases Under Rude V. Commissioner, Richard C.E. Beck

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