"Vodafone and hutch tax case" Essays and Research Papers

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    Tax Memorandum

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    November 16‚ 2012 TAX FILE MEMORANDUM FROM SUBJECT Peaceful Pastures Funeral Home‚ INC. taxpayer engagement. FACT Peaceful Pastures Funeral Home‚ INC (“Peaceful”) has designed an approach that allows customers to prepay for their funeral goods and services. Under this program‚ the customer pays in advance for the goods and services that will be provided at the time of their death‚ often at a significant discount. Under the terms of the contract‚ the payments are refundable at the contract purchaser’s

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    Tax Law

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    therefore the first characteristic was not met‚ and therefore the holidays were not ordinary income under s. 25(1). There is a further principle from this case. If the holidays were a substitute for income‚ rather than a voluntary reward‚ then the holiday would assume the character of the income it replaced. Not a binding principle from this case (Obiter Dicta). FCT v Dixon‚ Periodicity‚ recurrence and regularity/substitution principal Taxpayer left his job to enlist in the armed forces‚ but the

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    Monday‚ November 21‚ 2011 Tax Structure & Policy Suggestions: Bangladesh Case 1 Introduction The main tax grossing or revenue collecting institution is generally known as National Board of Revenue (NBR). And as the central authority of tax policy and administration in Bangladesh‚ it plays a critical part in the development of the country. During the current fiscal year (FY 2010-11)‚ NBR is expected to collect Taka 75‚600 crore‚ providing much needed support to the government’s development

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    Tax Paper

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    Week 1 : Week 1 - Quiz ------------------------------------------------- Top of Form Time Remaining:  |     | 1. Henry transfers property with an adjusted basis of $90‚000 and a FMV of $100‚000 to a newly-formed corporation in a Sec. 351 exchange. Henry receives stock with a FMV of $80‚000 and a short-term note with a $20‚000 FMV. Henry’s recognized gain is (Points : 2) |        $0.        $5‚000.        $10‚000.        $20‚000. c) Realized gain is recognized to the extent of boot

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    Tax Depreciation

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    4.1 Understand tax depreciation procedures and the effect of depreciation on the firm’s cash flows. 1) Depreciation deductions‚ like any other business expenses‚ reduce the income that a firm reports on its income statement. Answer: TRUE Diff: 1 Topic: Depreciation Learning Obj.: LG 1 Learning Outcome: F-02 Question Status: Previous Edition AACSB Tag: Analytic Skills 2) Non-cash charges are expenses that involve an actual outlay of cash during the period but are not deducted on the income

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    Tax Law

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    Australian Tax Law BFA714 – Exempt Income BFA714_10 What is income? 2 Key Legislative Provisions ITAA97 • Economist View – Division 6: • • • • • – Traditional economic view of income is that it is a ‘gain’ • Recognises both realised and unrealised gains as income s 6-5 Ordinary income s 6-10 Statutory income s 6-15 Not assessable income s 6-20 Exempt income s 6-23 Non-assessable non-exempt income – Other Relevant Divisions: • • • • • Tax View • Only

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    Tax Problem

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    2010 166 Your social security number Alice Johnson 222-23-3334 CAUTION ! To take the making work pay credit‚ you must include your social security number (if filing a joint return‚ the number of either you or your spouse) on your tax return. A social security number does not include an identification number issued by the IRS. Only the Social Security Administration issues social security numbers. You cannot take the making work pay credit if you can be claimed as someone else’s

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    Abstract In Tschetschot v. Commissioner‚ 93 TCM 914 (2007)‚ the tax court ruled that taxpayer’s losses from participating in tournament poker were limited to the amount of her winnings. The court held that tournament poker is‚ despite its differences from other types of poker‚ essentially a wagering activity and therefore should not be treated differently from other forms of gambling for tax purposes. The court also rejected the taxpayer’s equal protection argument to treat tournament poker as sports

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    Issue Did the corporation violate section 38 of the tax Act? The case addresses a tax payer’s questions the constitutional validity of section 38 of the tax Act‚ Corporation Tax Act‚ enacted on August 5‚ 1909‚ against the corporation. Rule “The tax is to be equivalent to 1 per cent of the entire net [220 U.S. 107‚ 145] income over and above $5‚000 received by such corporation or company from all sources during the year‚ excluding‚ however‚ amounts received by them as dividends upon stock of

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    Fat Tax

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    benefits‚ and other miscellaneous costs. This report proposes that these costs and problems need to be addressed‚ and one avenue through which they can be is a junk food tax. This report proposes that there be a federal tax placed on junk food purchases‚ similar to the taxes placed on gasoline and tobacco products. This tax would dissuade people from purchasing unhealthy food items. At the same time it would help the nation offset some of the financial costs that obesity has generated. The proposition

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