The Internal Revenue Code expressly and impliedly allows taxpayers to deduct many business-related expenses that also fill personal needs. However, the deductibility of home office expenses under the general provision for business expenses, section 162 of the Code, has been a frequent subject of litigation. Section 162 requires that the employee establish that the expenses were ordinary and necessary expenses paid or incurred during the taxable year in carrying on any trade or business. Since it is well established that working for an employer is carrying on a trade or business within the statute, in order to secure a deduction for the home office in which he performs work for his employer an employee need only prove that his home office ...
As a result of a recent Supreme Court decision, Commissioner v. Soliman, stricter guidelines have be...
Travel and entertainment expenses, as tax deductions, were the subject of sweeping changes in the Re...
Petitioner and one Elkins were employed by a corporation which they had organized to engage in the e...
This Note argues that the Tax Court\u27s more liberal interpretation is correct because it more near...
The fuzzy dichotomy between business or profit-motivated expenses and personal expenses has long pla...
Section 280A of the Internal Revenue Code allows a taxpayer to deduct expenses incurred with respect...
I. Introduction II. The Office in the Home Deduction … A. Early Distinctions … B. The Fluctuating Co...
The employee home office expense deduction of today bears only a slight resemblance to its ancestor ...
The deductibility of expenditures associated with home offices is an issue of great concern to many ...
Among the innovations introduced into the Internal Revenue Code by the Revenue Act of 1942 was the p...
The taxpayer, a lawyer, had resided in Jackson, Mississippi for approximately thirty-five years, and...
Petitioner was a member of a firm of lawyers engaged in general practice in Binghamton, New York. Th...
During 1959 two cases involving the right to deduct as an ordinary and necessary business expense ...
Professor Popkin urges that courts interpret section 162 of the Internal Revenue Code, which permits...
The applicable law governing the income tax deductibility of home workspace expenses incurred by per...
As a result of a recent Supreme Court decision, Commissioner v. Soliman, stricter guidelines have be...
Travel and entertainment expenses, as tax deductions, were the subject of sweeping changes in the Re...
Petitioner and one Elkins were employed by a corporation which they had organized to engage in the e...
This Note argues that the Tax Court\u27s more liberal interpretation is correct because it more near...
The fuzzy dichotomy between business or profit-motivated expenses and personal expenses has long pla...
Section 280A of the Internal Revenue Code allows a taxpayer to deduct expenses incurred with respect...
I. Introduction II. The Office in the Home Deduction … A. Early Distinctions … B. The Fluctuating Co...
The employee home office expense deduction of today bears only a slight resemblance to its ancestor ...
The deductibility of expenditures associated with home offices is an issue of great concern to many ...
Among the innovations introduced into the Internal Revenue Code by the Revenue Act of 1942 was the p...
The taxpayer, a lawyer, had resided in Jackson, Mississippi for approximately thirty-five years, and...
Petitioner was a member of a firm of lawyers engaged in general practice in Binghamton, New York. Th...
During 1959 two cases involving the right to deduct as an ordinary and necessary business expense ...
Professor Popkin urges that courts interpret section 162 of the Internal Revenue Code, which permits...
The applicable law governing the income tax deductibility of home workspace expenses incurred by per...
As a result of a recent Supreme Court decision, Commissioner v. Soliman, stricter guidelines have be...
Travel and entertainment expenses, as tax deductions, were the subject of sweeping changes in the Re...
Petitioner and one Elkins were employed by a corporation which they had organized to engage in the e...