The 7 percent tax cap & other relief measures of Public Act 644By John K. NorrisNovember 2007Any discussion of tax relief and homeowner exemptions cannot be adequately held without first providing some background information on how Illinois arrived at the current state of the law.
Illinois Appellate Court affirms Department of Revenue’s business income and net proceeds positionsBy David J. KupiecJune 2007In Mead Corp. v. Illinois Department of Revenue, No. 1-03-1160 (Ill. App.Ct., 1st Jud. Dist), the Illinois Appellate Court held that for Illinois income tax purposes the gain from the sale of certain property at issue in that case was business income apportionable to Illinois.
Intangible holding companies under increased fire by state taxing agenciesBy Stanley R. KaminskiDecember 2007Massachusetts has now joined the growing list of states asserting taxable nexus (i.e., jurisdiction) over Intangible Holding Companies (“IHCs”). See, Geoffrey, Inc. v. Commissioner of Revenue, Mass. App. Tax Board, C271816 (July 24, 2007).
A note from the Co-EditorBy Mary Ann ConnellyNovember 2007This edition of Tax Trends features a summary of Public Act 644, the “7 percent tax cap,” by Section Council Member John Norris.
A note from the Co-EditorBy Mary Ann ConnellyOctober 2007This edition of Tax Trends features a summary of the 95th General Assembly legislative bills that were signed by the Governor.
A note from the Co-EditorBy Mary Ann ConnellySeptember 2007Please be advised that the Property Tax Appeal Board is hosting a Practitioners’ meeting.
A note from the Co-EditorBy Mary Ann ConnellyAugust 2007This edition of Tax Trends features four case synopses by Co-Editor Stanley R. Kaminski.
A note from the co-editorBy Mary Ann ConnellyJuly 2007This edition of Tax Trends features four case synopses by Timothy E. Moran, Section Council Member of State and Local Taxation.
A note from the co-editorBy Stanley R. KaminskiJune 2007An introduction to the issue from Editor Stan Kaminski.
A note from the co-editorBy Mary Ann ConnellyMay 2007This edition of Tax Trends features case summaries of property tax cases.
A note from the co-editorBy Mary Ann Connelly & Stanley R. KaminskiApril 2007This edition of Tax Trends features the second part of the two articles on the Provena decision by the Illinois Department of Revenue.
A note from the co-editorBy Stanley R. KaminskiFebruary 2007This edition of Tax Trends features the first of two articles on the Provena decision by the Illinois Department of Revenue.
A note from the co-editorBy Stanley R. KaminskiJanuary 2007An introduction to the issue from Co-Editor Stan Kaminski.
Questions and answers for 2006 / 2007 IDOR Practitioners’ MeetingsJanuary 2007Note: The answers by the Department of Revenue to the questions are not to be relied upon by taxpayers in lieu of a Private Letter Ruling and are not the kind of written information upon which a taxpayer may rely to request an abatement under the Taxpayer Bill of Rights.
Recent decisions in real estate tax casesBy Timothy E. MoranJuly 2007Taxing districts filed petitions to intervene in certain tax objection cases brought by property owners seeking refunds of property taxes paid.
Recent developments in real property taxation; proceduralBy Elizabeth M. AllenMay 2007Facts- Plains maintained crude oil inventory in Midland County. Plains purchases, collects and stores oil in tank farms before delivery. It does not manufacture oil.
A review of the 26th Annual State and Local Taxation Conference of the National Conference of State Tax JudgesBy Judge Alexander P. WhiteDecember 2007The 26th Annual State and Local Taxation Conference of the National Conference of State Tax Judges (NCSTJ) convened on September 27-29, 2007, in Cambridge, Massachusetts. Fifty state tax judges convened at the Sheraton Commander Hotel, two blocks from the headquarters of the Lincoln Institute, which is located on Brattle Street, in a mansion located next to the Henry Wadsworth Longfellow Museum and two blocks from Harvard Yard.
The role of attorney-accountants in administrative state and local tax proceedingsBy Julie-April MontgomerySeptember 2007Your company just received a sales tax notice of tax liability from the Illinois Department of Revenue for hardware sold to a Chicago company along with the lease of various software packages that are both customized and canned.
The saga of LexisNexisBy Hon. Alexander P. WhiteJune 2007In 1968, a decision was made by Mead Paper Company (“Mead”), headquartered in New York City, to expand its paper production and written communication operations to include the electronic transfer of information.
The taxman comethBy Julie-April MontgomeryAugust 2007The following outline was originally presented at the ISBA May 24, 2007 seminar.
What is “charity care”: Qualifying for property tax exemptionsBy William SeitzApril 2007Nonprofit healthcare institutions have historically qualified for a 100 percent property tax exemption as “charitable institutions” under section 15-65 of the Property Tax Code.