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Articles from Tax Executive (July 1, 1999)

1-30 out of 30 article(s)
Title Author Type Words
An Institute for the New Millennium. Shewbridge, Charles W. III 1646
APA Confidentiality Provisions Should Be in Tax Bill. 478
Buying or selling a member of a consolidated group. Pellervo, Patricia W. 16185
California interest-offset rule is discriminatory and should be struck down, TEI urges Supreme Court. Brief Article 592
Charles Shewbridge Becomes TEI's President. 280
Chicago Chapter Seminars Cover International Issues, Research Credit. 401
Cleveland Chapter Revisits "Best Practices" with IRS Officials. 666
Confidentiality of tax return information. 1611
Court ruling on attorney-client privilege could have chilling effect on U.S. business. Brief Article 441
Don't Rush to Judgment on Tax Shelter Legislation, TEI Urges Ways and Means Committee. 526
H-P's Langdon Appointed to Top IRS Post. 500
H.R. 2378: confidentiality of advance pricing agreements. 839
Hunt-Wesson, Inc. Petitioner, v. Franchise Tax Board, Respondent. Brief Article 4673
Interest Netting Rules Don't Provide Full Measure of Taxpayer Relief. 380
International complexity and simplification. 4433
KEY PEOPLE. 230
Los Angeles Chapter Hosts Three Seminars and Annual Tax Administrators' Night. 262
Martha O'Neal Receives Meritorious Service Award at S.F. Chapter Annual Meeting. 71
New Jersey Chapter Celebrates 25th Anniversary. 61
New Membership Coordinator. 174
New Orleans Chapter Marks 50th Year. 73
Non-Member Early Notification Program for Conferences, Courses, and Seminars. 296
Record Retention Requirements Have IRS Playing a Game of Catch-Up. 419
Record retention requirements under Rev. Proc. 98-25. 6312
Revenue Canada Assistant Deputy Minister Barry Lacombe Retires. 418
Tax Return Information Should Remain Confidential, TEI Tells Justice, Treasury Departments. 322
Technical clarification of interest-netting rules. 528
TEI Testifies on Complexity of Tax Code's International Provisions. 315
Treasury Department white paper on corporate tax shelters. 1061
United States of America Plaintiff-Appellee, v. Richard A Frederick, Defendant-Appellant, and Randolph W. Lenz, Karin Lenz, and KCS Industries, Inc., Intervening-Defendant-Appellants. Brief Article 3926

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