Sentences with phrase «franchise taxes as»

Kathryn also advises non-profit organizations regarding the process for achieving tax - exempt status under the Internal Revenue Code and Texas sales and franchise taxes as well as providing ongoing compliance with federal tax laws and regulations.

Not exact matches

The EC alleges that IKEA used an intercompany loan to offset tax, saying: «As a result of the interest payments, a significant part of Inter IKEA Systems» franchise profits after 2011 was shifted to its parent in Liechtenstein.»
Also, Menchie's Franchise Development Managers have experience helping franchise candidates explore other sources of financing, such as home equity lines of credit and self - guided IRAs, which can allow you to start a business using pre-tax dollars without penalties or paying income tax on the start - upFranchise Development Managers have experience helping franchise candidates explore other sources of financing, such as home equity lines of credit and self - guided IRAs, which can allow you to start a business using pre-tax dollars without penalties or paying income tax on the start - upfranchise candidates explore other sources of financing, such as home equity lines of credit and self - guided IRAs, which can allow you to start a business using pre-tax dollars without penalties or paying income tax on the start - up dollars.
After last week's vote in Tampa, where a half - cent increase in the Hillsborough County sales tax was approved to help underwrite a new stadium, it's looking more and more as if the NFL, which has promised loyal Cleveland fans a team for the 1999 season, will be delivering an expansion club rather than an existing franchise to that city.
Explanations of the merits of extending the franchise to younger people normally begin with statements such as «if someone's old enough to X...» with X replaced by «marry», «go to war», «pay taxes» and so on.
The Buffalo businessman goes on to tout his credentials as a «builder» and pledges to eliminate the capital gains tax and cut the corporate franchise tax in his first budget if elected governor, adding: «I won't cap them, I'll cut them.»
As you'll recall, Paladino started yesterday morning trying to move away from his angry personal attacks against Cuomo and onto talking about policy with a Web video in which he pledged to eliminate the capital gains and corporate franchise taxes and panned the AG's jobs plan.
Importantly, this credit, as proposed by Governor Cuomo, will apply to all manufacturers operating in New York State, including C - corporations subject to the corporate franchise tax, and manufacturers organized as sub-S corporations, LLCs or partnerships, whose business income is primarily taxed under the personal income tax.
The budget proposal will reduce taxes for the largest banks in New York, as well as lowering the Corporate Franchise Tax to 6.5 percent, the lowest it's been since 1968.
Both businesses announced by Gov. Andrew Cuomo last month fall into that criteria, and as a result of their success in the application process, they will be able to operate free for a decade from state income tax, business or corporate state or local taxes, sales tax, property tax or franchise fees.
As of 2010, the California Franchise Tax Board permits California residents to file Schedule CA to include the full property tax deductiTax Board permits California residents to file Schedule CA to include the full property tax deductitax deduction.
Note: In addition to regular income taxes, many states impose other taxes on corporations such as gross receipts taxes and franchise taxes.
Truth: Every day, the CCSPCA works with legitimate organizations frequently referred to as «rescue groups», which are defined as active status non-profit or not — for - profit organizations with written proof of State of California Franchise Tax Board and / or Federal Department of the Treasury Internal Revenue Service 501 (c) 3 status.
* Pet Placement Organization (organizations frequently referred to as «rescue groups», which are defined as active status, non-profit or not — for - profit organizations with written proof of State of California Franchise Tax Board and / or Federal Department of the Treasury Internal Revenue Service 501 (c) 3 status.)
As with the coming of the tides, death, and taxes, the release of the newest titles in Nintendo's Pokemon franchise has sold tons of units.
For example, a Delaware corporation that employs someone in another U.S. state will have to register as a «foreign corporation» with that state (usually with the Office of the Secretary of State), pay «franchise» taxes / fees to that state, and comply with that state's employment law.
He also represents clients in tax matters before the U.S. Tax Court, U.S. Court of Claims, and Federal District Court, as well as the IRS and Franchise Tax Boatax matters before the U.S. Tax Court, U.S. Court of Claims, and Federal District Court, as well as the IRS and Franchise Tax BoaTax Court, U.S. Court of Claims, and Federal District Court, as well as the IRS and Franchise Tax BoaTax Board.
You may think it's obvious that, as an IP specialist, you aren't thinking about the client's tax exposure or franchise disclosure obligations... but to some clients, a lawyer is a lawyer.
Lexpert describes the guide as ``... [profiling] Lexpert - ranked lawyers whose focus is in cross-border Corporate Law and Transactions, specifically in the following practice areas: Asset - Based Lending, Banking and Finance, Competition / Anti-Trust, Corporate Finance and Securities, Corporate Tax, Energy, Insolvency & Financial Restructuring, M&A, Mining Law, Technology Transfers, Commodity Tax / Customs, Franchising and Project Finance.»
Business Development: Brokering various business dealings that further the diversification of Indian economies Developing and accessing commercial financial programs and services for tribal governments, including tax - exempt offerings and federally - guaranteed housing loans Serving as issuer or underwriter's counsel in tribal bond issuances Ensuring tribal compliance with Bank Secrecy Act and other federal financial regulatory requirements Handling federal and state income, excise, B&O, property and other tax matters for tribes and tribal businesses Chartering tribal business enterprises under tribal, state and federal law Registering and protecting tribal trademarks and copyrights Negotiating franchise agreements for restaurants and retail stores on Indian reservations Custom - tailoring construction contracts for tribes and general contractors Helping secure federal SBA 8 (a) and other contracting preferences for Indian - owned businesses Facilitating contractual relations between tribes and tribal casinos, and gaming vendors Building tribal workers» compensation and self - insurance programs Government Relations: Handling state and federal regulatory matters in the areas of tribal gaming, environmental and cultural resources, workers» compensation, taxation, health care and education Negotiating tribal - state gaming compacts and fuel and cigarette compacts, and inter-local land use and law enforcement agreements Advocacy before the Washington State Gambling Commission, Washington Indian Gaming Association and National Indian Gaming Commission Preparing tribal codes and regulations, including tribal court, commercial, gaming, taxation, energy development, environmental and cultural resources protection, labor & employment, and workers» compensation laws Developing employee handbooks, manuals and personnel policies Advocacy in areas of treaty rights, gaming, jurisdiction, taxation, environmental and cultural resource protection Brokering fee - to - trust and related real estate and jurisdictional transactions Litigation & Appellate Services: Handling complex Indian law litigation, including commercial, labor & employment, tax, land use, treaty rights, natural and cultural resource matters Litigating tribal trust mismanagement claims against the United States, and evaluating tribal and individual property claims under the Indian Claims Limitation Act Defending tribes and tribal insureds from tort claims brought against them in tribal, state and federal courts, including defense tenders pursuant to the Federal Tort Claims Act Assisting tribal insureds in insurance coverage negotiations, and litigation Representing individual tribal members in tribal and state civil and criminal proceedings, including BIA prosecutions and Indian probate proceedings Assisting tribal governments with tribal, state and federal court appeals, including the preparation of amicus curiae briefs Our Indian law & gaming attorneys collaborate to publish the quarterly «Indian Legal Advisor ``, designed to provide Indian Country valuable information about legal and political developments affecting tribal rights.
Mr. Staub has represented a wide range of businesses against the Internal Revenue Service and Franchise Tax Board, as well as provided estate and succession planning for business owners.
She regularly advises on a full range of tax types such as income, franchise, sales and use, and property taxes.
Firm Rankings Band 1 Georgia - Banking & Finance: Mainly Regulatory New York - Environment St. Louis & Surrounds - Corporate / M & A St. Louis & Surrounds - Labor & Employment St. Louis & Surrounds - Litigation: General Commercial Band 2 Nationwide - Franchising Colorado - Natural Resources & Environment Colorado - Real Estate Illinois - Environment Kansas City & Surrounds - Corporate / M & A Kansas City & Surrounds - Litigation: General Commercial Missouri - Intellectual Property St. Louis & Surrounds - Environment St. Louis & Surrounds - Real Estate Band 3 Nationwide - Sports Law Arizona - Litigation: General Commercial Arizona — Real Estate Colorado - Corporate / M & A Colorado - Litigation: General Commercial Colorado - Labor & Employment Georgia — Antitrust Georgia - Real Estate Band 4 Georgia - Bankruptcy / Restructuring Georgia - Corporate / M & A Georgia - Litigation: General Commercial New York - Real Estate (Mainly Dirt) Band 5 Illinois — Labor & Employment Bryan Cave attorneys recognized as leaders in their field, and the area for which each is recognized, are: Nationwide Lawrence Brody - Wealth Management: Central Region (Band 2) Kenneth R. Costello - Franchising (Band 3) Scott M. Hobby — Outsourcing (Band 3) Steven B. Smith - Sports Law (Band 3) Jonathan C. Solish - Franchising (Band 1) Richard R. Young - Sports Law: Athletic Disputes (Band 2) Arizona Steven A. Hirsch - Litigation: General Commercial (Band 2) R. Neil Irwin - Real Estate: Zoning / Land Use (Band 4) Lars O. Lagerman — Real Estate (Band 2) Lawrence G. Scarborough - Litigation: General Commercial (Band 2) California Rachel E. Matteo - Boehm - Media & Entertainment: First Amendment Litigation (Band 2) Roger R. Myers - Media & Entertainment: First Amendment Litigation (Band 2) Sharon Z. Weiss - Bankruptcy / Restructuring (Band 4) Colorado Robert H. Bach - Real Estate (Band 1) Timothy R. Beyer - Litigation: General Commercial (Band 2) Lynn P. Hendrix - Natural Resources & Environment (Band 3) Robert A. Holmes - Real Estate (Band 1) Henry W. Ipsen - Natural Resources & Environment (Senior Statesman) Peter J. Korneffel Jr. — Litigation: General Commercial (Band 4) Charles D. Maguire Jr. — Corporate / M & A (Band 3) Bobbee J. Musgrave - Litigation: General Commercial (Band 4) K. Preston Oade - Labor & Employment (Senior Statesman) Donald L. Samuels - Labor & Employment (Band 3) Cliff Stricklin - Litigation: White - Collar Crime & Government Investigations (Band 1) Mark W. Weakley — Corporate / M & A (Band 3) Georgia Gerald L. Blanchard - Banking & Finance: Mainly Regulatory (Band 2) R. Joseph Burby, IV — Litigation: General Commercial (Up & Coming) Frank A. Crisafi - Tax (Band 3) William V. Custer - Litigation: General Commercial (Band 3) Mark I. Duedall - Bankruptcy / Restructuring (Band 3) Christopher Paul Galanek - Litigation: General Commercial (Band 4) Robert D. Klingler - Banking & Finance: Mainly Regulatory (Band 2) Kathryn L. Knudson - Banking & Finance: Mainly Regulatory (Band 2) Jay J. Levin - Real Estate (Band 3) Thomas R. McNeill - Corporate / M & A (Band 3) Robert Mercer - Bankruptcy / Restructuring (Band 3) Rick Miller - Corporate / M & A (Band 4) Walter G. Moeling - Banking & Finance: Mainly Regulatory (Senior Statesman) Joan B. Sasine - Environment (Band 3) Louis C. Spelios - Corporate / M & A (Band 4) G. Patrick Watson - Antitrust (Band 1) Illinois Susan E. Brice - Environment: Mainly Transactional (3) Scott Hodes - Media & Entertainment: Transactional (Band 1) Thor W. Ketzback - Environment: Mainly Transactional (Band 3) Linda S. Mensch - Media & Entertainment: Transactional (Band 1) Mary Margaret Moore - Labor & Employment (Band 4) Michael K. Ohm - Environment: Mainly Transactional (Band 2) William J. Wortel — Labor & Employment (Band 4) Missouri (Kansas City & Surrounds) Robert M. Barnes - Corporate / M & A (Band 2) Irvin V. Belzer - Litigation: General Commercial (Band 3) William Perry Brandt - Litigation: General Commercial (Band 2) Elaine Drodge Koch - Labor & Employment (Band 2) Craig S. O'Dear - Litigation: General Commercial (Band 1) James P. Pryde - Corporate / M & A (Band 3) Stephen S. Sparks - Real Estate (Band 2) Robert M. Thompson - Litigation: General Commercial (Band 2) Thomas W. Van Dyke - Corporate / M & A (Band 1) Missouri (St. Louis & Surrounds) Dan H. Ball - Litigation: General Commercial (Band 1) Fred W. Bartelsmeyer - Corporate / M & A (Band 2) Steven M. Baumer - Corporate / M & A (Band 3) J. Bennett Clark - Intellectual Property (Band 1) Dennis C. Donnelly - Labor & Employment (Senior Statesman) Robert T. Ebert Jr. - Litigation: General Commercial (Band 2) Dale A. Guariglia - Environment (Band 1) Edward J. Hejlek - Intellectual Property (Band 2) John W. Hoffman - Real Estate (Band 3) Jerry M. Hunter - Labor & Employment (Band 1) Charles B. Jellinek - Labor & Employment (Band 2) Don G. Lents - Corporate / M & A (Band 1) Bruce E. Lowry Jr. - Real Estate (Band 3) Linda M. Martinez - Real Estate (Band 2) George E. Murray - Real Estate (Band 1) James L. Nouss Jr. - Corporate / M & A (Band 1) Daniel M. O'Keefe - Labor & Employment (Band 2) Steven J. Poplawski - Environment (Band 2) David A. Roodman - Intellectual Property (Band 1) William F. Seabaugh - Corporate / M & A (Band 1) Bettina J. Strauss - Litigation: General Commercial (Band 3) Thomas C. Walsh - Litigation: General Commercial (Band 1) R. Randall Wang - Corporate / M & A (Band 2) New York Roberta G. Gordon - Environment: Mainly Transactional (Band 2) J. Kevin Healy - Environment (Band 1) Philip E. Karmel - Environment (Band 2) North Carolina Christopher C. Kupec - Banking & Finance (Band 2) For more information about Chambers and Partners, visit their Web site at www.chambersandpartners.com.
Her previous experience includes serving as an intern for the California Franchise Tax Board.
As far as the franchise tax is concerned you would have to be grossing over a million dollars in sales before you have to pay taxes on thaAs far as the franchise tax is concerned you would have to be grossing over a million dollars in sales before you have to pay taxes on thaas the franchise tax is concerned you would have to be grossing over a million dollars in sales before you have to pay taxes on that.
In the retail arena, franchises — from fast food to tax practices — are growing, as laid - off workers opt for entrepreneurship, Bemis says.
He provides services to corporate, institutional, and individual clients as well as public agencies on all facets of hospitality real estate including: litigation support and expert testimony, site evaluation, highest and best use analysis, appraisals for mortgage, acquisition, and portfolio management, workout strategies, operational analysis, development consulting, property tax assessment appeal evaluations, economic impact studies, fairness opinions, deal structuring, and negotiation of management and franchise agreements.
The major change to the 1031 code is the removal of tax deferral treatment for tangible and intangible personal property, including assets such as collectible cars, aircraft, gold and silver bullion, equipment, cars and trucks, franchise fees and licenses.
The Internal Revenue Service (IRS) Section of the tax code is used by taxpayers who own real and tangible and intangible personal property such as vacation and commercial property, aircraft, equipment, collectible vintage cars, artwork or franchise rights, that is held in the productive use of a business or for investment.
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