Sentences with phrase «kind of tax related»

Not exact matches

If Congress really wanted to shift behavior, it would enact permanent tax reductions of some kind related to investments — not short term gimmicks and ploys.
With year - end rapidly approaching, many investors have been going through their financial statements and slips to see what kind of investment or investment - related expenses they've paid through the year, and which ones might be deductible on their personal tax returns.
Citi is somewhat vague in listing the purchases covered by the travel credit, but Prestige covers most air travel — related purchases, including many kinds of fees or even taxes paid on an award ticket.
Having worked alongside HMRC staff for a number of years, Tamara is ideally placed to advise upon strategy in HMRC or NCA investigations and has wide experience of representing taxpayers, companies and individuals in all kinds of tax and VAT disputes for alleged fraudulent / negligent conduct including related Penalties and Enforcement proceedings including tax injunctions.
Better to increase the attractiveness of legal services by enabling lawyers to provide related services accompanying their legal services, e.g., family law lawyers providing financial planning advice, and law firms providing accounting and tax advisory work, and litigation lawyers working with experts who improve and maintain their clients» electronic records management systems, because records are the most frequently used kind of evidence and are completely dependent on their records management systems for everything, particularly their «integrity» ( which is what the electronic records provisions of the Evidence Acts require be proved for admissibility; e.g., section 31.2 ( 1 ) ( a ) of the Canada Evidence Act - see: Ken Chasse, «Electronic Records as Evidence,» and the other «records as evidence» articles on «my SSRN authors page, for free download ) 。
A practice of saving paperwork for one year after the relevant statute of limitations for a lawsuit expires is common, but some kinds of paperwork needs to be retained much longer such as vital statistics records (e.g. birth certificates, marriage certificates and divorce decrees) that can prove citizenship and marital status, documents showing the purchase price of property that may later be sold until it is sold (for tax purposes), documents that prove ownership of property that is still owned, documents that prove final payment of debts, many documents related to a divorce, and many documents related to estate planning.
By entering, participants release and hold Sponsor, Administrator, and each of their respective parent companies, subsidiaries, affiliates, distributors and advertising and promotional agencies, and each of their respective directors, officers, employees, and agents, and all others associated with the development and execution of this Contest (collectively, the «Promotion Entities «-RRB- harmless from and against any and all liability, losses, damages or injuries of any kind resulting from participation in the Contest or any Contest - related activity, prize, taxes, or from entrants» acceptance, receipt, possession and / or use or misuse of any prize.
It's worth noting around 64 percent of LendEDU survey respondents said they do plan to report some kinds of «gains or losses» related to bitcoin in their tax returns.
Under Section 1031 of the United States Internal Revenue Code, a taxpayer can defer capital gains and related Federal income tax liability on the exchange of «Like - Kind Property».
Section 1033 of the Internal Revenue Code («1033 Exchange») provides that real property that is or will be the subject of a compulsory or involuntary conversion either from condemnation via an eminent domain proceeding by local, state or Federal government, in whole or in part, can be exchanged by you on a tax - deferred basis for «like - kind» real property that is similar or related in service or use to the property that was involuntarily converted.
The proposed rules and regulations specifically clarified the 45 calendar day identification period and the 180 calendar day exchange period rules, provided guidance on how to deal with actual and constructive receipt issues in the form of safe harbor provisions, reaffirmed that partnership interests do not qualify as like - kind property in a tax - deferred like - kind exchange transaction, and further clarified the related party rules.
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