1. Discuss filing requirement? - Filing requirements are specified by law for each type of taxpayer. In addition, all corporation must file a tax return annually regardless of their taxable income. Therefore, estates and trusts are required to file annual income tax returns if their gross income exceeds $600. In the filing requirements for individual taxpayers are a little more complex as they depend on the taxpayer’s filing status, age and gross income. The gross income thresholds are calculated as the sum of the standard deduction, additional deduction for taxpayers age 65 or older and personal exemptions that should be applied to each respective filing status. In addition, the amounts are indexed each year for inflation. Thus, when a taxpayer is due a refund which happened to occur only when …show more content…
Discuss the internal Revenue Code: The internal revenue code is a main statutory authority that formed in 1986, known as the code. It has the same authoritative weight as tax treaties and supreme court rulings. The internal revenue code is very different than the other authority all administrative and judicial except tax treaties and constitution which seems to clarification of it. in the Internal Revenue code, every year congress tends to pass legislature that changes the code. The Internal revenue code is separated into subtitles, chapters, subchapters, parts, subparts and sections. However, whenever the researcher referring a tax law, they generally are referring to the law that is simply by its code sections, which are numbered from 1 to 9834 with gaps in the section umbers to allow new code sections to be added to the appropriate parts of the code as needed. It is very important that we understand the organization of code section in order for us to cite the respective law correctly. Therefore, if we do not understand the organization of the code, it will be very difficult for us to interpret the code section and to regulate its relevancy to a research
Then the Partnership DISTRIBUTES to Partner A the property contributed by Partner B, only THEN will you have tax consequences. The general rule is that there are NO tax consequences when a Partner receives NON-cash Property.
Using no more than 250 words, write a description of the object depicted in the two photographs.
The goal of communications is to make ethics a live, ongoing conversation. If ethics is something that is constantly addressed, referenced frequently in company meetings, and in personal conversations among managers and employees, then people are more aware and more willing to defend the company’s policies when they see or hear of problems. Employees will hold other employees responsible and accountable for living the company’s values.
1. How much obedience and loyalty does an agent employee owe to an employer? What if the employer engages in an activity—or requests that the employee engage in an activity—that violates the employee’s ethical standards but does not violate any public policy or law? In such a situation, does an employee’s duty to abide by her or his own ethical standards override the employee’s duty of loyalty to the employer?
The Internal Revenue Code (IRC) is the supreme source of income tax law. When trying to resolve an income tax question, a tax practitioner will look to other sources in addition to the IRC. For example, the tax practitioner may consult IRC regulations,
Classification: Posting of sales transaction to proper account: tested when accuracy tested; focus on unusual items
two major tribes were the Ostrogoth’s and the Lombard’s where power shifted several times, And the
1) Complete summary of the case study that identifies the key problems and issues, provides background information, relevant facts, the solution employed, and the results achieved.
Access the "Litigation" section of the SEC's website at www.sec.gov/litigation.shtml. Click on "Accounting and Auditing Enforcement Releases." Click on "AAER-3234" filed January 20, 2011. Read the release and the related SEC Complaint. Summarize the release and complaint in 2-3 pages (12-point, double spaced).
In the United States today there are millions of corporations in many different industries. All of them must abide by the current taxation rules and regulations that have been set by IRS and congress. The Internal Revenue Code, which was originally founded in 1939, set the foundation for the codification that we have in place today. The code arranged all Federal Tax provisions in a logical order and placed them in a separate part of the federal status. Over the years, congress has updated and amended the tax code in 1954, in 1986 Tax Reform Act, and is constantly updating the code due to its importance in assessing judicial and administrative decisions. The
uses budgeted fleet hours to allocate variable manufacturing overhead. The following information pertains to the company 's manufacturing overhead data:
During the first month of operations of her business (a sole proprietorship), the following events and transactions occurred.
There are a variety of sources that including tax law research such as primary and secondary sources and several other methods used to resolve a tax issue. Tax professionals have to be familiar with the IRC, which are organized paragraphs, sections, and parts. The administrative and judicial interpretations of the IRC are essential and necessary. “The Treasury Regulation provides administrative interpretations and Court opinions provide judicial interpretations” (Pope & Anderson, 2010, p. 1-7). By researching primary and secondary tax sources, court rulings, and substantial authority will provide a better understanding of how essential the tax research has become for advisors and tax practitioners to communicate tax consequences to clients.
Applying the specific interest method, the interest rate on any construction related debt is used up to the amount of the construction debt and any excess average accumulated expenditures is multiplied by a weighted-average interest
The effect of these provisions is to make a taxpayer liable to taxation. In reality, tax is a creation of statute and there is no of common law or equity that makes a man liable to tax. Therefore, from time to time whenever a dispute arises between the relevant tax authority and the taxpayer, there is a need to establish a judicial construction of any particular provision of a tax statute. In construing the words of a statute, the onus is on the tax authority to prove the intention of the legislature from the wordings of the statute. Where the