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Citations to the Treasury Regulations may appear in different formats. For instance, the definition of gross income in the regulations may be cited to as "26 C.F.R. 1.61-1" or as "Treas. Reg. 1.61-1." Both citations refer to the same regulation, which interprets Internal Revenue Code section 61, "Gross income defined." [3] [4]
Revenue-cap regulation allows the operator to change its prices within baskets of services so long as the change in revenue does not exceed the revenue cap index. This index typically reflects the overall rate of inflation in the economy, the inflation in the operator's input prices relative to the average firm in the economy and the ability of the operator to gain efficiencies relative to the ...
The Act was the most significant change to U.S. banking regulations since Dodd–Frank. [5] [7] [8] Barney Frank, leading co-sponsor of Dodd-Frank, said parts of the original law were a mistake and supported the legislation. [9] [10] [11] [12]
The Internal Revenue Service Restructuring and Reform Act of 1998, also known as Taxpayer Bill of Rights III (Pub. L. 105–206 (text), 112 Stat. 685, enacted July 22, 1998), resulted from hearings held by the United States Congress in 1996 and 1997.
Economic substance is a doctrine in the tax law of the United States under which a transaction must have both a substantial purpose aside from reduction of tax liability and an economic effect aside from the tax effect in order to qualify for any tax benefits.
Rodrigo Duterte signed the Republic Act No. 10963 or the Tax Reform for Inclusion and Acceleration Act of 2017, which lowered personal income tax rates but increased taxes on certain goods, leading to a net increase in revenue. This excess revenue will be used to fund the major expansion in public infrastructure in the country (see Build! Build!
If an entity has been operating under one classification for some time, but then elects to change its classification, there may be tax consequences. The initial regulations were unclear on this point, so the IRS issued Revenue Rulings 99-5 and 99–6 in 1999 to address questions surrounding the conversion of an LLC to a partnership and vice versa.
Section 2(a) of the Act also officially changed the name of the Internal Revenue Code from the Internal Revenue Code of 1954 to the Internal Revenue Code of 1986. Although the Act made numerous amendments to the 1954 Code, it was not a re-enactment or a substantial re-codification or reorganization of the overall structure of the 1954 Code.