The majority of married taxpayers do not fully appreciate the legal ramifications of executing a joint tax return. Regardless of the actual division of combined income, upon filing a joint return, each spouse is responsible for the accuracy of the entire return and liable for the full amount of any tax deficiency arising from the return. To avoid joint and several liability, a couple could file separate returns; however, this often results in a greater total tax liability. Alternatively, a spouse who qualifies as innocent of the erroneous items reported by his or her spouse may claim relief under Internal Revenue Code (I.R.C.) § 6015. While relief from joint and several liability under I.R.C. § 6oi5 is an improvement on its predecessor, f...
Section 6015 liberalized the original innocent spouse rules and added 2 new avenues for claiming rel...
This Article examines I.R.C. § 6013(e). The provision is intended to protect an innocent spouse from...
The purpose of this dissertation is to ascertain taxpayers\u27 perceptions of joint and several liab...
The majority of married taxpayers do not fully appreciate the legal ramifications of executing a joi...
Every time spouses sign joint returns, knowingly or not they accept joint and several liability, mea...
Spouses who file joint tax returns are jointly and severally liable for any resulting tax deficiency...
Part One of this Note details the historical background of joint and several liability in federal in...
The filing of a joint return by a married couple usually results in overall tax savings. The downsid...
When a married couple files a joint tax return, both spouses become jointly and severally liable for...
Fourteen years ago, members of Congress sympathetically listened as divorcees testified to their str...
This article provides a framework for such interpretation and implementation of the new innocent spo...
This paper reviews the statutory requirements for obtaining the innocent spouse relief, briefly iden...
Under existing law spouses are jointly and severally liable for taxes assessed with respect to their...
Wealthy taxpayers have always attempted to reduce their federal income taxes. Before 1948, when the ...
Under existing law spouses are jointly and severally liable for their joint tax returns. As a result...
Section 6015 liberalized the original innocent spouse rules and added 2 new avenues for claiming rel...
This Article examines I.R.C. § 6013(e). The provision is intended to protect an innocent spouse from...
The purpose of this dissertation is to ascertain taxpayers\u27 perceptions of joint and several liab...
The majority of married taxpayers do not fully appreciate the legal ramifications of executing a joi...
Every time spouses sign joint returns, knowingly or not they accept joint and several liability, mea...
Spouses who file joint tax returns are jointly and severally liable for any resulting tax deficiency...
Part One of this Note details the historical background of joint and several liability in federal in...
The filing of a joint return by a married couple usually results in overall tax savings. The downsid...
When a married couple files a joint tax return, both spouses become jointly and severally liable for...
Fourteen years ago, members of Congress sympathetically listened as divorcees testified to their str...
This article provides a framework for such interpretation and implementation of the new innocent spo...
This paper reviews the statutory requirements for obtaining the innocent spouse relief, briefly iden...
Under existing law spouses are jointly and severally liable for taxes assessed with respect to their...
Wealthy taxpayers have always attempted to reduce their federal income taxes. Before 1948, when the ...
Under existing law spouses are jointly and severally liable for their joint tax returns. As a result...
Section 6015 liberalized the original innocent spouse rules and added 2 new avenues for claiming rel...
This Article examines I.R.C. § 6013(e). The provision is intended to protect an innocent spouse from...
The purpose of this dissertation is to ascertain taxpayers\u27 perceptions of joint and several liab...