|
![]() |
|||
|
||||
OverviewNOTE: NO FURTHER DISCOUNT FOR THIS PRINT PRODUCT- OVERSTOCK SALE -Significantly reduced list price One of the primary cases in this volume includes a tax regulation relating to tax credits for tax payerrs who enroll in an insurance plan through a federal rather than a state exchange. Constitutional lawyers and tax attorneys may be interested in this volume as well as certified public accountants. Other print volumes in the Tax Court Reports series can be found here: https: //bookstore.gpo.gov/catalog/laws-regulations/court-cases-documents-us-tax-court/tax-court-reports Please check out our Business and Finance resources collection that contains a section on Taxes, Accounting, and Auditing at this link: https: //bookstore.gpo.gov/catalog/business-finance Full Product DetailsAuthor: Tax Court (U S ) , Sheila A MurphyPublisher: Government Printing Office Imprint: Government Printing Office Dimensions: Width: 15.20cm , Height: 3.80cm , Length: 24.80cm ISBN: 9780160917110ISBN 10: 0160917115 Pages: 488 Publication Date: 17 May 2013 Audience: General/trade , General Format: Hardback Publisher's Status: Active Availability: Available To Order ![]() We have confirmation that this item is in stock with the supplier. It will be ordered in for you and dispatched immediately. Table of ContentsReviewsAuthor InformationThe United States Tax Court is a federal trial court of record established by Congress under Article I of the U.S. Constitution, section 8 providing (in part) that Congress has the power to constitute Tribunals inferior to the Supreme Court. The Tax Court specializes in adjudicating disputes over federal income tax, generally prior to the time at which formal tax assessments are made by the Internal Revenue Service. Though taxpayers may choose to litigate tax matters in a variety of legal settings, outside of bankruptcy, the Tax Court is the only forum in which taxpayers may do so without having first paid the disputed tax in full. Parties who contest the imposition of a tax may also bring an action in any United States District Court, or in the United States Court of Federal Claims; however these venues require that the tax be paid first, and that the party then file a lawsuit to recover the contested amount paid (the full payment rule ). Tab Content 6Author Website:Countries AvailableAll regions |