TITLE

Arizona Must Refund $350 Million In Tax Revenues Amid Budget Crisis

AUTHOR(S)
Williamson, Richard
PUB. DATE
September 2002
SOURCE
Bond Buyer;9/19/2002, Vol. 341 Issue 31474, p3
SOURCE TYPE
Trade Publication
DOC. TYPE
Article
ABSTRACT
Reports the settlement of the improperly collected tax revenues in Arizona. Determination on the affected taxpayers; Number of taxpayers affected; Implication of the refunding to the budget of the state.
ACCESSION #
7424484

 

Related Articles

  • INCOME TAX.  // Accountancy;Nov70, Vol. 81 Issue 927, p801 

    Presents a British legal case dealing with the income tax. Facts, issue and ruling in the case of 'CIR v. Saul Wachtel'; Settlements when settlor returns an interest under the Income Tax Act of 1952; Benefit indirectly enjoyed by the settlor when trustees paid trust income to the bank to reduce...

  • Ensuring a clean break. Sanderson, Emma; Yule, Andrew // Employers Law;Sep2005, p16 

    This article presents guidelines for employers on drafting a compromise agreement with employees to minimise the risk of future disputes between the parties. A compromise agreement can be an effective way to settle any claims raised by an employee and safeguard against the individual pursuing...

  • A CAPITAL GAINS ANOMALY: COMMISSIONER V. BANKS AND THE PROCEEDS FROM LAWSUITS. Black, Stephen T.; Black, Katherine D.; Black, Michael D. // St. Mary's Law Journal;2011, Vol. 43 Issue 1, p113 

    The article analyses the cases Banks v. Commissioner and Banaitis v. Commissioner to determine the taxability of income received through settlement of a lawsuit. It discusses whether the portion of settlement income paid by the litigant to his attorney, as the attorney's fees should also be...

  • Legal settlements: 3 tips to reduce the IRS' share.  // Tax Strategist;Oct2010, Vol. 5 Issue 10, p6 

    The article presents tips on how to reduce the U.S. Internal Revenue Service's (IRS) share on legal settlements. It states that errors in the way a settlement is drafted may cost a client's finances, and minimizing its income tax consequences should be done before an agreement is signed. Tips...

  • Top Ten Tax Tenets for Trial Lawyers. Wood, Robert W. // Litigation;Summer2009, Vol. 35 Issue 4, p38 

    The article focuses on various concepts related to income tax laws in the U.S. that should be known to trial lawyers. These concepts include the tax matters in drafting of settlement agreements, awareness of exclusions of personal physical injury and knowledge of the requirements of qualified...

  • Part III. Administrative, Procedural, and Miscellaneous.  // Internal Revenue Bulletin;1/14/2013, Vol. 2013 Issue 3, p281 

    The article focuses on the administrative and procedural settlements of the per capita payments in reference to settlements of several Indian tribal trust cases under the Internal Revenue Code (IRC). It mentions the purpose of the settlements in providing guidance regarding the federal income...

  • THE HOMOPHILE AND INCOME TAX INEQUITIES. Vanderwood, Val // Ladder;Feb-Mar69, Vol. 13 Issue 5/6, p7 

    This article written by Val Vanderwood focuses on the difficulties faced by homophiles in filling out a federal income tax return in the United States. Provides accounts on the money demanded by the government, the extension of the preferential tax treatment to couple with large numbers of...

  • Private Letter Rulings of Interest.  // Family Foundation Advisor;Nov/Dec2012, Vol. 12 Issue 1, p6 

    The article focuses on the private letter rulings in a woman who hired an attorney to prepare a will for her. The Attorney General of the State has requested that the portions of the will appointing the attorney as executor on behalf of the charitable beneficiaries of the woman's will. It adds...

  • The increased impact of Div 7A on family law settlements. Cardan, Tamara // Taxation in Australia;Nov2016, Vol. 51 Issue 5, p253 

    Separated spouses who finalise their financial affairs under property settlement proceedings may now incur significant tax liabilities due to the potential application of Div 7A of Pt III of the Income Tax Assessment Act 1936. Where, pursuant to an order of the Family Court, a private company is...

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