The chairman’s cornerBy Robert WeberJune 1999This will be my last letter as chairman of the council. By the time this is printed, my term will have expired.
The chairman’s cornerBy Robert WeberApril 1999The IRS has now been operating under Commissioner Rossotti since November of 1997.
The chairman’s cornerBy Robert WeberFebruary 1999As I promised in our first newsletter, I wanted to have interesting speakers at our meetings. So far we have been very successful.
Corporate and partnership tax update August, 1999By Michael L. EnglishSeptember 1999In Craven v. U. S., 83 AFTR 2nd Par. 99-526, a Georgia District Court ruled that a stock redemption incident to a divorce was tax free under Code Section 1041.
Corporate and partnership updateBy John B. TruskowskiJune 1999When an employer files for bankruptcy, it may eventually be discharged from its obligations to remit taxes it withheld from wages paid to its employees.
Corporate and partnership updateBy John B. TruskowskiFebruary 1999In 330 W. Hubbard Restaurant Corporation, d/b/a Coco Pazzo v. United States, N.D. Ill. No. 98 C 178, District Court Judge Marvin Aspen held that a restaurant was liable for FICA taxes on unreported tips.
Editor’s noteBy Michael L. EnglishNovember 1999At the September 24, 1999, meeting of the Federal Taxation Section Council, the members of the council heard a guest presentation by Edith Siler, Senior Attorney with the Office of IRS District Counsel, in Chicago.
Estate and gift tax updateBy Alfred SandersJune 1999In the past when multiple interests in the same asset have been included in a decedent's gross estate the multiple interests have been aggregated in order to determine their value.
Income tax treatment of state and federal grantsBy Don JohnsonNovember 1999Various state and federal agencies make grants of funds to both public and private corporations for economic development, improvement of public facilities and related purposes.
Individual income tax updateBy James S. ZmudaSeptember 1999Several requirements must be satisfied for divorce related payments to be treated as alimony, taxable to the payee and deductible by the payor.
Individual income tax updateBy Carlos A. SaavedraJune 1999Most individual taxpayers that are homeowners can itemize deductions due to the deductions for real estate taxes and home mortgage interest.
Individual income tax updatesBy Carlos A. SaavedraFebruary 1999For quite a number of years, the IRS' standard mileage rate for automobile business use generally increased slightly from one year to the next.
Individual income tax updates: IRS issues new guidance for innocent spouse reliefBy Thomas F. ArendsApril 1999The Internal Revenue Service has issued new interim guidance for taxpayers seeking equitable relief under the innocent spouse provisions enacted under new Internal Revenue Code section 6015 of the IRS Restructuring and Reform Act of 1998 ('98 Act).
Message from the chairBy George E. MarifianNovember 1999In the last issue, we commented on the flurry of tax proposals being debated in Congress before the Labor Day Recess.
Message from the chairBy George E. MarifianSeptember 1999Greetings and welcome to the new fiscal year for our section. I am pleased to report that we began the year with an excellent council meeting at Lake Geneva in June.
Procedure updateBy Carlos A. SaavedraNovember 1999Code section 7122 authorizes the Secretary of the Treasury, and by delegation, IRS, to compromise any civil or criminal case.
Trade associations, associate members and unrelated business incomeBy David R. ReidApril 1999Business Leagues, Chambers of Commerce, Real Estate Boards, Boards of Trade, or Professional Football Leagues not organized for profit and no part of the net earnings of which inures to the benefit of any private shareholders or individuals are exempt from federal income tax pursuant to IRC section 501(c)(6).