Income Tax-FOREIGN INCOME-INSURANCE PAYMENTS TO WHOLLY-OWNED FOREIGN CAPTIVE INSURANCE COMPANY ARE RECAST AS CAPITAL CONTRIBUTION
In the context of a European project describing variations in the structure of the corporate income ...
Plaintiff, Associated, is an American corporation whose wholly-owned subsidiary, Automatic, owned al...
United States Tax Principles Govern Determination of Accumulated Profits Under Foreign Tax Credit Se...
Income Tax-FOREIGN INCOME-INSURANCE PAYMENTS TO WHOLLY-OWNED FOREIGN CAPTIVE INSURANCE COMPANY ARE R...
This article is a detailed study of the taxation by the United States of foreign base company servi...
Plaintiff, a New York corporation doing business in Texas, purchased insurance covering risks locate...
Prior to the enactment of IRC §501(m), the issue of whether a group self-insurance pool was tax exem...
Plaintiff was the beneficiary of a life insurance policy payable in equal installments over a period...
Tax-Fogelsong IV: THE SEVENTH CIRCUIT HOLDS THAT A PERSONAL SERVICE CORPORATION AND ITS SOLE SHAREHO...
Senate Constitutional Amendment 1. Adds section 14 ¾ to Article XII of Constitution. Declares insu...
Taxpayer was agent for eleven life insurance companies. From two of them he purchased policies on th...
The Sixth Circuit Court of Appeals\u27 in 1959 reversed a tax court holding that a life insurance co...
A corporation took out several policies of insurance on the life of its president, naming itself as ...
This article discusses the issues of insurance, which today allow us to solve a number of social nee...
Contracts indemnifying persons or corporations for losses and damage resulting from an interruption ...
In the context of a European project describing variations in the structure of the corporate income ...
Plaintiff, Associated, is an American corporation whose wholly-owned subsidiary, Automatic, owned al...
United States Tax Principles Govern Determination of Accumulated Profits Under Foreign Tax Credit Se...
Income Tax-FOREIGN INCOME-INSURANCE PAYMENTS TO WHOLLY-OWNED FOREIGN CAPTIVE INSURANCE COMPANY ARE R...
This article is a detailed study of the taxation by the United States of foreign base company servi...
Plaintiff, a New York corporation doing business in Texas, purchased insurance covering risks locate...
Prior to the enactment of IRC §501(m), the issue of whether a group self-insurance pool was tax exem...
Plaintiff was the beneficiary of a life insurance policy payable in equal installments over a period...
Tax-Fogelsong IV: THE SEVENTH CIRCUIT HOLDS THAT A PERSONAL SERVICE CORPORATION AND ITS SOLE SHAREHO...
Senate Constitutional Amendment 1. Adds section 14 ¾ to Article XII of Constitution. Declares insu...
Taxpayer was agent for eleven life insurance companies. From two of them he purchased policies on th...
The Sixth Circuit Court of Appeals\u27 in 1959 reversed a tax court holding that a life insurance co...
A corporation took out several policies of insurance on the life of its president, naming itself as ...
This article discusses the issues of insurance, which today allow us to solve a number of social nee...
Contracts indemnifying persons or corporations for losses and damage resulting from an interruption ...
In the context of a European project describing variations in the structure of the corporate income ...
Plaintiff, Associated, is an American corporation whose wholly-owned subsidiary, Automatic, owned al...
United States Tax Principles Govern Determination of Accumulated Profits Under Foreign Tax Credit Se...