The Commissioner of Internal Revenue issued jeopardy assessments against the taxpayer, Omar, S.A., a Uruguayan corporation. To avoid payment, Omar began to liquidate its American-held assets by transferring receipts out of the country. Pursuant to its statutory right, under section 6321 of the Internal Revenue Code of 1954, to impose a lien upon all property of a delinquent taxpayer, the United States brought suit against Omar and various New York banks in the domestic and foreign branches of which Omar\u27s funds were deposited. The district court granted a preliminary injunction restraining certain of the banks from transferring any property whether located in the United States or held by the banks for Omar in foreign branches. On appeal,...
The following cases demonstrate the need for standardized treatment of the IRS in relation to a stat...
In 1973, the Internal Revenue Service undertook an investigation of the consolidated income tax retu...
By “tax collection controversies,” I mean cases in which it has been established that the taxpayer o...
The Commissioner of Internal Revenue issued jeopardy assessments against the taxpayer, Omar, S.A., a...
Decedent, a citizen and resident of France, was the sole income beneficiary of a trust fund held in ...
Plaintiff, a first mortgagee, instituted a foreclosure proceeding joining the mortgagors, a second m...
Plaintiff\u27s property was under a federal tax lien. He brought suit in the district court against ...
The United States Supreme Court held that a nontaxpayer has standing to bring a tax refund action un...
Personal property of plaintiff, a delinquent taxpayer, was seized and sold by defendant district dir...
At the time of his death, decedent owned certain land in fee simple. His executrix, authorized by an...
Taxpayer sued to enjoin collection of federal insurance contributions and unemployment taxes with re...
Nearly six years after taxpayer died income tax deficiencies were determined against his estate. Sin...
INCOME TAX--LIQUIDATION OF FOREIGN CORPORATIONS--SHAREHOLDERS IN A LIQUIDATING FOREIGN CORPORATION M...
The Courts of Appeals for the Sixth and Ninth Circuits are in conflict on the question of whether se...
United States Tax Principles Govern Determination of Accumulated Profits Under Foreign Tax Credit Se...
The following cases demonstrate the need for standardized treatment of the IRS in relation to a stat...
In 1973, the Internal Revenue Service undertook an investigation of the consolidated income tax retu...
By “tax collection controversies,” I mean cases in which it has been established that the taxpayer o...
The Commissioner of Internal Revenue issued jeopardy assessments against the taxpayer, Omar, S.A., a...
Decedent, a citizen and resident of France, was the sole income beneficiary of a trust fund held in ...
Plaintiff, a first mortgagee, instituted a foreclosure proceeding joining the mortgagors, a second m...
Plaintiff\u27s property was under a federal tax lien. He brought suit in the district court against ...
The United States Supreme Court held that a nontaxpayer has standing to bring a tax refund action un...
Personal property of plaintiff, a delinquent taxpayer, was seized and sold by defendant district dir...
At the time of his death, decedent owned certain land in fee simple. His executrix, authorized by an...
Taxpayer sued to enjoin collection of federal insurance contributions and unemployment taxes with re...
Nearly six years after taxpayer died income tax deficiencies were determined against his estate. Sin...
INCOME TAX--LIQUIDATION OF FOREIGN CORPORATIONS--SHAREHOLDERS IN A LIQUIDATING FOREIGN CORPORATION M...
The Courts of Appeals for the Sixth and Ninth Circuits are in conflict on the question of whether se...
United States Tax Principles Govern Determination of Accumulated Profits Under Foreign Tax Credit Se...
The following cases demonstrate the need for standardized treatment of the IRS in relation to a stat...
In 1973, the Internal Revenue Service undertook an investigation of the consolidated income tax retu...
By “tax collection controversies,” I mean cases in which it has been established that the taxpayer o...