TITLE

TAX CASE REVIEW

AUTHOR(S)
Davies, Jonathan
PUB. DATE
January 1984
SOURCE
Accountancy;Jan1984, Vol. 95 Issue 1085, p22
SOURCE TYPE
Trade Publication
DOC. TYPE
Article
ABSTRACT
Discusses the ruling in the tax case of Reed v Young. Case background; Subject of losses which can be claimed by a limited partner under the Income and Corporation Taxes Act 1970.
ACCESSION #
7411467

 

Related Articles

  • The limited liability company in seven easy lessons: A tax executive's primer. Elwood, William E. // Tax Executive;Sep/Oct94, Vol. 46 Issue 5, p388 

    Discusses taxation issues related to limited liability companies in the United States. Characteristics of a limited liability company (LLC); LLC's history; Use of LLC; Partnership tax classification of the LLC; Tax compliance issues; Tax concerns for suppliers and customers.

  • Family partnerships: Limited in name only. Jenkins, Gary E. // Best's Review / Life-Health Insurance Edition;May94, Vol. 95 Issue 1, p82 

    Discusses the taxation of limited family partnerships in the United States. Applicable legislation affecting legislation; Tax advantages of partnerships.

  • TAX.  // Accountancy;Jun82, Vol. 93 Issue 1066, p8 

    Reports on several tax-related policies in Great Britain. Goodwill written off in accounts; Limited partnership; Reasonable removal expenses.

  • TAX CASE REVIEW. Davies, Jonathan // Accountancy;Jan1984, Vol. 95 Issue 1085, p22 

    Discusses the ruling in the tax case of Reed v Young. Case background; Subject of losses which can be claimed by a limited partner under the Income and Corporation Taxes Act 1970.

  • Limited partner defined for self-employment tax.  // Practical Accountant;Mar97, Vol. 30 Issue 3, p21 

    Defines the concept of a limited partner for self-employment tax purposes in proposed regulations of the US Internal Revenue Service.

  • Limited offers. Haithwaite, Emily // Lawyer;11/24/2003, Vol. 17 Issue 46, pOS15 

    Summarizes the tax treatment of limited partnerships and their partners in Jersey, Channel Islands. Advantages of establishing limited partnerships as investment fund vehicles and of establishing general partner and carried interests partner vehicles on the island; Taxation of non-Jersey...

  • NY registered limited partnerships ruling.  // Practical Accountant;Sep95, Vol. 28 Issue 9, p22 

    Reports on a revenue ruling discussing whether a New York general partnership converting to a New York registered limited liability partnership is classified a partnership for federal tax purposes.

  • TAX.  // Accountancy;Jun82, Vol. 93 Issue 1066, p8 

    Reports on several tax-related policies in Great Britain. Goodwill written off in accounts; Limited partnership; Reasonable removal expenses.

  • Correction/Clarification.  // Research;Sep2014, Vol. 37 Issue 9, p12 

    A correction to the article "2014 Research Guide to MLP Investing" that was published in previous issue is presented.

Share

Read the Article

Courtesy of VIRGINIA BEACH PUBLIC LIBRARY AND SYSTEM

Sorry, but this item is not currently available from your library.

Try another library?
Sign out of this library

Other Topics