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HTMLCommunity Health Needs Assessment Requirements for Tax-Exempt Hospitals
T. Mills Fleming; HunterMaclean;
Legal Alert/Article
May 25, 2015, previously published on May 13, 2015
The federal tax-exempt status of hospitals and other entities “organized and operated exclusively for charitable purposes” has been in place since before the first federal Income Tax Code; it endures today as the “charitable organization” exemption under the Internal Revenue...

 

Adobe PDFMississippi Supreme Court Scuttles Use Tax Assessment on Yacht Purchase
John F. Fletcher, Justin B. Stone; Jones Walker LLP;
Legal Alert/Article
May 21, 2015, previously published on May 2015
The Mississippi Supreme Court last week reversed a lower court judgment which had upheld the Department of Revenue’s imposition of use tax upon the out-of-state purchase of a yacht by a Mississippi resident. In doing so, the Court provided taxpayers with very useful guidance on two previously...

 

Adobe PDFFirst Circuit Declines Second Bite at Utelcom Apple
Jesse R. Adams, William M. Backstrom, Kathryn Scioneaux Friel; Jones Walker LLP;
Legal Alert/Article
May 21, 2015, previously published on April 2015
On Friday, the Louisiana First Circuit Court of Appeal issued its highly-anticipated opinion in Cynthia Bridges, Secretary, Department of Revenue v. Polychim USA, Inc. In Polychim, the First Circuit considered whether the district court properly granted summary judgment in favor of the Louisiana...

 

HTMLTax-Free Conferencing: Vermont Commissioner of Taxes Rules Conference Bridging and Meeting Collaboration Software Services Not Subject to Sales Tax
Timothy A. Gustafson, Suzanne M. Palms; Sutherland Asbill & Brennan LLP;
Legal Alert/Article
May 21, 2015, previously published on May 20, 2015
The Vermont Commissioner of Taxes determined that conference bridging and meeting collaboration software services provided to Vermont customers were not subject to sales and use tax. The service provider’s conference bridging service allowed customers to call into a number with an access code...

 

Adobe PDFWhat’s on the Menu? - Prefiled Tax Bills for the 2015 Louisiana Legislative Session
Matthew A. Mantle, Kimberly Lewis Robinson; Jones Walker LLP;
Legal Alert/Article
May 21, 2015, previously published on April 2015
The Louisiana Legislature convened the 2015 Regular Session at noon on Monday, April 13th. This is a fiscal session, meaning legislation dealing with taxes, exemptions, credits and deductions will be considered.

 

HTMLRussia: 2014 Tax Filing
Dzhangar Dzhalchinov; Dentons Canada LLP;
Legal Alert/Article
May 20, 2015, previously published on April 20, 2015
Dentons' Russian Tax and Customs practice would like to remind you that less than one month remains to the deadline for filing 2014 tax returns. Individuals required to independently declare and pay personal income tax ("NDFL" or "Personal Income Tax") must file a 3-NDFL tax...

 

HTMLWynne Court Holds That Internal Consistency Lives, Applies to Taxation of Resident
Michele Borens, Jonathan A. Feldman, Jeffrey A. Friedman, Todd A. Lard, Carley A. Roberts; Sutherland Asbill & Brennan LLP;
Legal Alert/Article
May 20, 2015, previously published on May 18, 2015
A divided U.S. Supreme Court ruled that Maryland’s personal income tax regime is unconstitutional. Comptroller of the Treasury v. Wynne, 575 U.S. -- (2015). The Court affirmed the Maryland Court of Appeals in a 5-4 decision and held that Maryland unconstitutionally created the risk of...

 

HTMLTaxpayer Wynne’s: Supreme Court Rules Maryland Personal Income Tax Violates Constitution
Michele Borens, Jonathan A. Feldman, Jeffrey A. Friedman, Todd A. Lard, Carley A. Roberts; Sutherland Asbill & Brennan LLP;
Legal Alert/Article
May 19, 2015, previously published on May 18, 2015
This morning the U.S. Supreme Court ruled that Maryland’s personal income tax regime is unconstitutional. By failing to provide a full credit to its residents for taxes paid to other states, Maryland unconstitutionally created the risk of multiple taxation. The Maryland Court of Appeals was...

 

HTMLPost-election planning | The Only thing that is Constant is Change
Sophie Dworetzsky, Christopher Groves; Withers Bergman LLP;
Legal Alert/Article
May 19, 2015, previously published on May 6, 2015
Anyone following UK politics or tax policy would be well advised to remind themselves of Heraclitus' insight. As we contemplate what many are understandably terming the most important election in decades, let us take a moment to take stock of the possible implications for us, our clients and the...

 

HTMLVAT Treatment of Acquisition Costs Recharged to Other Entities of a Group
Nicolas Andre, Siamak Mostafavi, Alexios Theologitis; Jones Day;
Legal Alert/Article
May 15, 2015, previously published on May 2015
On January 23, 2015, the Conseil d''Etat issued a decision on whether the turnover attributable to the recharge to other entities of a group of acquisition costs generated within the course of a corporate reorganization could be taken into account for the purposes of the determination of a holding...

 


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