There is a long history of cases interpreting whether a theft loss deduction for securities fraud is allowable for personal income taxes. The cases require that for a theft loss to be actionable as such, it would have to meet the requirements of the common law definition of theft in the U.S. state in which it occurred. This generally requires direct privity between the person claiming the loss and the person who committed the theft. Because most securities transactions are brokered, the direct privity is lost and a theft loss deduction is denied in favor a capital loss. Recently, in a case of first impression, the Tax Court was presented with a similar issue involving the worth of assets for estate taxes. Instead of using the reasoning pres...
In United States v. Carlton, the Supreme Court rejected a Due Process challenge to the retroactive e...
This article examines the income tax significance to the insider of his payment in satisfaction of a...
To achieve fairness and accuracy, an income tax system must accomplish two objectives: allow depreci...
There is a long history of cases interpreting whether a theft loss deduction for securities fraud is...
Traditionally, the theft loss deduction for Federal income tax was limited in several ways. The limi...
Ponzi schemes have received much attention lately. In the Madoff scandal alone, investors have lost ...
May courts legitimately impose their public policy views to override statutory commands? This articl...
The taxation of thieves and their victims must be studied as a whole. Both perpetrators and victims ...
(Excerpt) This Article focuses on some of these problems in the field of federal income tax. It sugg...
The taxation of thieves and their victims must be studied as a whole. Both perpetrators and victims ...
Losses suffered on an individual\u27s personally used property generally are not deductible. Even af...
The global financial crisis precipitated a condensing of capital and a fall in global equities marke...
Investors in depreciable assets used in a trade or business claim depreciation deductions following ...
The federal income tax allows deductions for some categories of personal losses, notably for casualt...
Executors were directed to sell the testator\u27s residuary estate. Out of one-fifth of the proceeds...
In United States v. Carlton, the Supreme Court rejected a Due Process challenge to the retroactive e...
This article examines the income tax significance to the insider of his payment in satisfaction of a...
To achieve fairness and accuracy, an income tax system must accomplish two objectives: allow depreci...
There is a long history of cases interpreting whether a theft loss deduction for securities fraud is...
Traditionally, the theft loss deduction for Federal income tax was limited in several ways. The limi...
Ponzi schemes have received much attention lately. In the Madoff scandal alone, investors have lost ...
May courts legitimately impose their public policy views to override statutory commands? This articl...
The taxation of thieves and their victims must be studied as a whole. Both perpetrators and victims ...
(Excerpt) This Article focuses on some of these problems in the field of federal income tax. It sugg...
The taxation of thieves and their victims must be studied as a whole. Both perpetrators and victims ...
Losses suffered on an individual\u27s personally used property generally are not deductible. Even af...
The global financial crisis precipitated a condensing of capital and a fall in global equities marke...
Investors in depreciable assets used in a trade or business claim depreciation deductions following ...
The federal income tax allows deductions for some categories of personal losses, notably for casualt...
Executors were directed to sell the testator\u27s residuary estate. Out of one-fifth of the proceeds...
In United States v. Carlton, the Supreme Court rejected a Due Process challenge to the retroactive e...
This article examines the income tax significance to the insider of his payment in satisfaction of a...
To achieve fairness and accuracy, an income tax system must accomplish two objectives: allow depreci...