Currently, the tax law denies a deduction for business expenses that violate a federal or state law (but only if the state law is generally enforced). In addition, losses, including business losses, cannot be deducted if they arise out of an illegal activity. For example, medical expenses are denied a deduction if they are illegal. Kickbacks, bribes, and rebates given in connection with the Medicaid or Medicare program are nondeductible. Any expenses, legal or not, incurred in connection with the conduct of a business of selling a controlled substance that is prohibited by federal law (or by the law of the state in which the business is conducted) cannot be deducted. It is the contention of the authors that all of those provisions should be...
Mr. Pullin’s thesis is that marijuana should be excluded from § 280E when it is operated legally und...
Petitioners were members of a partnership engaged in the wholesale distribution of beer in Washingto...
(Excerpt) This Article focuses on some of these problems in the field of federal income tax. It sugg...
The federal income tax law denies a deduction for illegal expenses, for any expense (legal or otherw...
Currently, the tax law denies a deduction for business expenses that violate a federal or state law ...
Under the judicially created public policy doctrine, the deductibility as a business expense of a pa...
Taxpayer, a securities dealer, was tried and convicted of mail fraud and of fraud under the 1933 Sec...
Taxpayer, a broker and underwriter, was convicted for violations of the Securities Act of 1933 and t...
Most commentary on these congressional attempts to use tax laws to control the ethics of overseas en...
This article describes the deductibility of legal fees for federal income tax purposes after the 201...
Currently, twenty-eight states and the District of Columbia allow the use of marijuana for medical p...
Defendant was indicted for attempting to evade the federal tax on the income of a certain corporatio...
Petitioner was a member of a firm of lawyers engaged in general practice in Binghamton, New York. Th...
This Note evaluates the merits of Revenue Ruling 74-323. First, it asserts that, while not arbitrary...
Congress enacted § 280E of the Internal Revenue Code in 1982 to punish businesses engaged in illegal...
Mr. Pullin’s thesis is that marijuana should be excluded from § 280E when it is operated legally und...
Petitioners were members of a partnership engaged in the wholesale distribution of beer in Washingto...
(Excerpt) This Article focuses on some of these problems in the field of federal income tax. It sugg...
The federal income tax law denies a deduction for illegal expenses, for any expense (legal or otherw...
Currently, the tax law denies a deduction for business expenses that violate a federal or state law ...
Under the judicially created public policy doctrine, the deductibility as a business expense of a pa...
Taxpayer, a securities dealer, was tried and convicted of mail fraud and of fraud under the 1933 Sec...
Taxpayer, a broker and underwriter, was convicted for violations of the Securities Act of 1933 and t...
Most commentary on these congressional attempts to use tax laws to control the ethics of overseas en...
This article describes the deductibility of legal fees for federal income tax purposes after the 201...
Currently, twenty-eight states and the District of Columbia allow the use of marijuana for medical p...
Defendant was indicted for attempting to evade the federal tax on the income of a certain corporatio...
Petitioner was a member of a firm of lawyers engaged in general practice in Binghamton, New York. Th...
This Note evaluates the merits of Revenue Ruling 74-323. First, it asserts that, while not arbitrary...
Congress enacted § 280E of the Internal Revenue Code in 1982 to punish businesses engaged in illegal...
Mr. Pullin’s thesis is that marijuana should be excluded from § 280E when it is operated legally und...
Petitioners were members of a partnership engaged in the wholesale distribution of beer in Washingto...
(Excerpt) This Article focuses on some of these problems in the field of federal income tax. It sugg...