Angry in Oklahoma
- EXECUTIVE SUMMARY. Mason, Mike // Orange County Business Journal;9/2/2002, Vol. 25 Issue 35, p9
Reports business developments in California as of September 2002. Business losses of Troy Group Inc.; Lawsuit filed by Ribapharm Inc. against Hoffman-La Roche Inc.; Prediction of the revenue of Quiksilver Inc.
- Tax Accounting. Salles, James E. // Corporate Business Taxation Monthly;May2000, Vol. 1 Issue 8, p31
Presents several court cases and issues on tax accounting in the U.S. Ruling of a Tax Court in Toyota Town Inc. versus Commissionerr in February 2000; Overview of the case Visco versus Commissionerr; Provisions under the Revenue Procedure 92-98.
- Mitigation of the Statute of Limitations in Federal Tax Cases. Kent, Arthur H. // California Law Review;Jan1939, Vol. 27 Issue 2, p109
Investigates the mitigation of the statute of limitations in federal tax cases. Two necessary exceptions to the general policy that have been made by Congress; Consequences inherent in any statutory limitation upon the period of time within which rights must be asserted in order to obtain the...
- Ex-owner, cemetery group's tax dispute over. Moskal, Jerry // Crain's Detroit Business;5/16/2005, Vol. 21 Issue 20, p21
The article presents information according to which businessman William Eldridge's tax penalties eliminated, the Lake Angelus businessman's $4.95 million dispute with the Internal Revenue Service has been closed. An agreement hammered out in negotiations between tax attorneys for Eldridge and...
- AT DEADLINE. // Pensions & Investments;7/22/2002, Vol. 30 Issue 15, p1
Reports developments related to pensions and investments in the U.S. as of July 2002. Lawsuit filing against Advanced Investment Management by the San Bernardino County Retirement Board; Restrictions on the Internal Revenue Service; Appointment of Callan Associates to the position of specialty...
- Was it Something We Said? McCormally, Timothy; Fahey, Mary Lou // Tax Executive;Sep/Oct2000, Vol. 52 Issue 5, p344
Focuses on the reaction of the United States Internal Revenue Service to the amicus brief filed by Tax Executives Institute in relation to the Mead Corp. case. Background of the case; Analogy of the government's reasoning; Overview of the amicus brief.
- Collection Due Process and Bankruptcy. Scarpati, Adam M. // CPA Journal;Jun2006, Vol. 76 Issue 6, p30
The article analyzes bankruptcy cases and the internal revenue code (IRC) in the U.S. Bankruptcy practice in the country is designed to promote the effective rehabilitation of a bankrupt debtor and provide for the equitable distribution of the debtor's assets. Under IRC, taxpayers can raise only...
- Cherokee Net Gains 18.4% In 2nd Quarter. Burrows, Dan // WWD: Women's Wear Daily;9/9/2004, Vol. 188 Issue 52, p14
Reports on the profit increase of Van Nuys, California-based Cherokee Inc. in the second quarter of 2004. Income of the company; Causes of the decline in revenue in 2003; Information on a lawsuit of Cherokee with Mossimo.
- TechMall.com: Revenue Recognition in the Internet Economy. Swain, Monte R.; Allen, Robert D.; Cottrell, David M.; Pexton, Kyle // Issues in Accounting Education;Nov2002, Vol. 17 Issue 4, p389
This case will help you explore the impact of authoritative revenue recognition literature in the context of e-commerce. In addition to better understanding e-commerce companies, you will have the opportunity to consider important GAAP literature that significantly impacts the revenue...