This article seeks to illustrate and clarify the law in the area of federal income tax and “qualified residence interest” by examining the limitations on the ability of individual taxpayers to deduct prepaid interest under section 461(g), with an emphasis on points relating to the acquisition or improvement of a principal residence. First, it outlines the relevant statutory provisions concerning the deduction for interest paid by individuals and the limitations imposed on the deduction of prepaid interest under section 461(g). In particular, it examines the circumstances surrounding Congress\u27s enactment of section 461(g). Second, this article considers the relevant case law and administrative pronouncements defining the scope of the prov...
In response to widespread concern that many taxpayers were renting their vacation homes in order to ...
This paper reviews the policy case for restrictions on the deduction of interest expense as a necess...
Section 6166 is an extremely complicated provision using different tests and having different rules ...
This article seeks to illustrate and clarify the law in the area of federal income tax and “qualifie...
This article will review the current cases and rulings involving business, investment and qualified ...
Obwervers of the federal tax scene have often noted a recurring phenomenon which enlivens the day-to...
The fuzzy dichotomy between business or profit-motivated expenses and personal expenses has long pla...
This Note argues that the Tax Court\u27s more liberal interpretation is correct because it more near...
most taxpayers who itemize deductions, the 1986 tax act will increase the after-tax cost of interest...
Individual taxpayers are subject to different rules for deducting different types of interest expens...
The deductibility of interest expense under the Income Tax Act has been permitted generally where bo...
The allowance of many personal deductions, such as the deduction for medical expenses or charitable ...
The history of the dispute over the proper timing of prepaid interest deductions by a cash basis tax...
A Taxation Ruling and various cases have recently created debate on the topic of the deductibility o...
The Tax Reform Act of 1976 added section 280A to. the Internal Revenue Code of 1954 in an effort to ...
In response to widespread concern that many taxpayers were renting their vacation homes in order to ...
This paper reviews the policy case for restrictions on the deduction of interest expense as a necess...
Section 6166 is an extremely complicated provision using different tests and having different rules ...
This article seeks to illustrate and clarify the law in the area of federal income tax and “qualifie...
This article will review the current cases and rulings involving business, investment and qualified ...
Obwervers of the federal tax scene have often noted a recurring phenomenon which enlivens the day-to...
The fuzzy dichotomy between business or profit-motivated expenses and personal expenses has long pla...
This Note argues that the Tax Court\u27s more liberal interpretation is correct because it more near...
most taxpayers who itemize deductions, the 1986 tax act will increase the after-tax cost of interest...
Individual taxpayers are subject to different rules for deducting different types of interest expens...
The deductibility of interest expense under the Income Tax Act has been permitted generally where bo...
The allowance of many personal deductions, such as the deduction for medical expenses or charitable ...
The history of the dispute over the proper timing of prepaid interest deductions by a cash basis tax...
A Taxation Ruling and various cases have recently created debate on the topic of the deductibility o...
The Tax Reform Act of 1976 added section 280A to. the Internal Revenue Code of 1954 in an effort to ...
In response to widespread concern that many taxpayers were renting their vacation homes in order to ...
This paper reviews the policy case for restrictions on the deduction of interest expense as a necess...
Section 6166 is an extremely complicated provision using different tests and having different rules ...