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    Commissioner vs. Pineda‚ 21 SCRA 105 When Atanasio Pineda died‚ his estate was divided among his wife and their 15 children. The eldest among the 15 children‚ Atty. Manuel Pineda had a share of P2‚500 but the BIR found out that the income tax return of the estate for the years 1945‚ 1946‚ 1947 and 1948 was not filed‚ so the collector of Internal Revenue issued an assessment and charged the full amount to the inheritance. The issue here is‚ can the Bureau of Internal Revenue collect the full amount

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    TAXATION LAW I. General Principles POWER OF TAXATION TAXATION – power by which the sovereign through its law-making body raises revenue to defray the necessary expenses of government from among those who in some measure are privileged to enjoy its benefits and must bear its burdens. Two Fold Nature of the Power of Taxation 1. It is an inherent attribute of sovereignty 2. It is legislative in character Extent of Taxing Power Subject to constitutional and inherent restrictions

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    TAXATION An involuntary fee levied on corporations or individuals that is enforced by a level of government in order to finance government activities. TAXES Compulsory monetary contribution to the state’s revenue‚ assessed and imposed by a government on the activities‚ enjoyment‚ expenditure‚ income‚ occupation‚ privilege‚ property‚ etc.‚ of individuals and organizations. A fee charged ("levied") by a government on a product‚ income‚ or activity. If tax is levied directly on personal or corporate

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    Taxation of U.S. Non-Resident Aliens and Foreign Corporations Baker College of Muskegon Elizabeth Lamas Taxation of U.S. Non Resident Aliens and Foreign Corporations Throughout this quarter we have learned how different entities are taxed‚ but we have not learned how foreign corporations and nonresident aliens are taxed. The purpose of this research paper is to discuss the basic concepts of how these two entities are taxed in the United States. A foreign corporation is any corporation that

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    Question 1. One of the important concepts in Canadian taxation is integration. Discuss the mechanisms built into the Canadian tax system for Canadian controlled private corporations to allow for integration. In your discussion‚ include the taxes put into the system to prevent deferral‚ the dividend gross-up and dividend tax credit prior to 2014 and for tax years after 2013. Discuss both investment income and business income. Question 2. Memo To: Staff Accountant From: Manager

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    PAPER F6 TAXATION (UK) P R A C T I C E & R E V I S I O N K I T FA 2012 BPP Learning Media is the sole ACCA Platinum Approved Learning Partner – content for the ACCA qualification. In this‚ the only Paper F6 Practice and Revision Kit to be reviewed by the examiner:      We discuss the best strategies for revising and taking your ACCA exams We show you how to be well prepared for your exam We give you lots of great guidance on tackling questions We show you how you can build your own

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    Hrir 307

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    Analyse expectancy and social learning theory and provide illustrations of where these theories might most usefully be applied. Executive summary This report provides a critical analysis of the expectancy and Social learning theory through illustrations of current and potential workplace practices used for human resource development in organisations. Findings showed the social learning theory emphasises way individuals learn by observing credible and knowledgeable people‚ with behaviours repeated

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    Prentice Hall’s Federal Taxation 2013 Corporations‚ 26e (Pope) Chapter C11 S Corporations 1) The S corporation rules were enacted to allow small corporations to enjoy the nontax advantages of the corporate form of business without being subject to the tax disadvantage of double taxation. Answer: TRUE Page Ref.: C:11-2 Objective: 1 2) Up to six generations of a family are considered as one shareholder for purposes of the 100-shareholder limit. Answer: TRUE Page Ref.: C:11-4 Objective: 2

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    Corporate Finance 307

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    CORPORATE FINANCE 307 LITERATURE REVIEW Student Name / ID: Chay Yu Xi 15907811 Jacqueline Teo Hui Yun 15805054 Ting Heng Huat 14973837 Tutor: Leo Kee Chye Tutorial Day / Time: Monday / 2pm Table of Contents Abstract The Tech Bubble Introduction Lowering of Interest Rates Adjustable Rate Mortgage Securitization Mortgage Backed Securities Collateralized Debt Obligation Credit Default Swap Government Reaction and Policies Emergency TARP Repercussions

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    Taxation

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    LWB364 INTRODUCTION TO TAXATION LAW SEMESTER 1‚ 2011 LINA TERRESA BUI 1 Lina Terresa Bui RESIDENCE 2 Lina Terresa Bui STATE THE ISSUE The issue which arises on the facts is whether the [taxpayer] is a resident for tax purposes. BACKGROUND The general jurisdictional rules provide:   Residents are assessed on their ordinary income and statutory income from all sources (ss 6-5(2)‚ 6-10(4) ITAA97) Foreign residents are assessed on their ordinary income and statutory income from

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