Reports of Cases Argued and Adjudged in the Supreme Court of the United StatesUnited States. Supreme Court, John Chandler Bancroft Davis, Henry Putzel, Henry C. Lind, Frank D. Wagner U.S. Government Printing Office, 1989 |
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Strana 26
... filed a petition for writ of certiorari in this Court , pre- senting the question whether federal law entitles it to a par- tial tax refund . We granted the petition , 488 U. S. 954 ( 1988 ) , and consolidated the case with American ...
... filed a petition for writ of certiorari in this Court , pre- senting the question whether federal law entitles it to a par- tial tax refund . We granted the petition , 488 U. S. 954 ( 1988 ) , and consolidated the case with American ...
Strana 38
... filed in a local circuit court , directs the county sheriff to levy upon and sell the delinquent taxpayer's goods and chattels to recover the amount of the unpaid tax plus a penalty of 50 % , along with interest of 1 % per month and the ...
... filed in a local circuit court , directs the county sheriff to levy upon and sell the delinquent taxpayer's goods and chattels to recover the amount of the unpaid tax plus a penalty of 50 % , along with interest of 1 % per month and the ...
Strana 45
... filed " ) ; see also Fla . Stat . § 215.26 ( 2 ) ( 1989 ) ( generally applicable 3 - year limitations period for tax refund actions ) . 29 For example , even after the Florida trial court held that the Liquor Tax violated the Commerce ...
... filed " ) ; see also Fla . Stat . § 215.26 ( 2 ) ( 1989 ) ( generally applicable 3 - year limitations period for tax refund actions ) . 29 For example , even after the Florida trial court held that the Liquor Tax violated the Commerce ...
Strana 53
... filed an adversary action against the Government to re- cover the entire amount that AIA had paid the IRS for trust - fund taxes during the 90 days before the bankruptcy filing . The Bankruptcy Court refused to permit Begier to recover ...
... filed an adversary action against the Government to re- cover the entire amount that AIA had paid the IRS for trust - fund taxes during the 90 days before the bankruptcy filing . The Bankruptcy Court refused to permit Begier to recover ...
Strana 54
... filed . Thus , Congress expected that the IRS would have to show some connection between the trust and the assets sought to be applied to a debtor's trust - fund obligations . While the Bankruptcy Code does not demonstrate how extensive ...
... filed . Thus , Congress expected that the IRS would have to show some connection between the trust and the assets sought to be applied to a debtor's trust - fund obligations . While the Bankruptcy Code does not demonstrate how extensive ...
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action activities American Trucking Assns amici curiae apply Arkansas Supreme Court Assn Attorney authority award BRENNAN certification certiorari checkpoint Chevron Oil civil claim club Commerce Clause concurring in judgment Congress constitutional Corp County Court of Appeals debtor decision dissenting 496 U. S. District Court Eleventh Amendment enforcement Establishment Clause estoppel federal law fees filed flag flat tax Florida Fourth Amendment funds Government held HUE tax Illinois issue jurisdiction JUSTICE lawyers legislative letterhead litigation Martinez-Fuerte McKesson ment militia Miranda Miranda warnings misleading National Guard NBTA noncurriculum related officer Opinion of O'CONNOR payment petitioner petitioner's plain view police pre-empted prohibit reasonable refund relief religious remedy respondent retroactivity Rule 11 Scheiner School Dist seizure sobriety checkpoint sovereign immunity speech stare decisis State's statute statutory STEVENS student groups supra Supremacy Clause Supreme Court Texaco tion tional trial United violation warrant Westside Widmar