Description of Provisions Listed for Further Hearings by the Committee on Finance on July 20, 21, and 22, 1976U.S. Government Printing Office, 1976 - 98 pages |
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Page 70
... disqualified persons " ( generally , persons with an economic or managerial interest 70 Modification of Transitional Rule for Sales of Leased Property by Private Foundations (sec 2101 of the bill)
... disqualified persons " ( generally , persons with an economic or managerial interest 70 Modification of Transitional Rule for Sales of Leased Property by Private Foundations (sec 2101 of the bill)
Page 71
... disqualified person until 1979 , so long as the lease remains at least as favorable to the private foundation as it would have been under an arm's - length transaction between unrelated parties . How- ever , for taxable years beginning ...
... disqualified person until 1979 , so long as the lease remains at least as favorable to the private foundation as it would have been under an arm's - length transaction between unrelated parties . How- ever , for taxable years beginning ...
Page 72
... disqualified persons . The fair market value of the property is to be determined either at the time of its disposition , or at the time ( after June 30 , 1976 ) that a contract is executed for disposition of the property . The ...
... disqualified persons . The fair market value of the property is to be determined either at the time of its disposition , or at the time ( after June 30 , 1976 ) that a contract is executed for disposition of the property . The ...
Page 94
... disqualified persons " ( generally , persons with an economic or managerial interest in the op- eration of that foundation ) . Among the transactions to which these taxes on " self - dealing " apply are the sale , exchange , or leasing ...
... disqualified persons " ( generally , persons with an economic or managerial interest in the op- eration of that foundation ) . Among the transactions to which these taxes on " self - dealing " apply are the sale , exchange , or leasing ...
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Common terms and phrases
amount assets beneficiaries buses cafeteria plans capital coal Code committee amendment contributions costs December 31 disqualified persons earned income eligible employee estate tax exchange funds excise tax expenditures Explanation of provision face-amount certificate fiscal year 1977 foreign corporation foreign tax credit fuel generation-skipping gift tax gross income heat pump House bill included income tax installation insurance company interest Internal Revenue Service investment credit investment tax credit Issue The issue law Under present leasing limited liquidation loss ment million in fiscal oil and gas ordinary income partnership payments percent percentage depletion period permits petroleum private foundation production provision applies provision This provision provision was sponsored provision was suggested purchase purposes qualified railroads recycling reduce regulations retail sponsored by Senator subsidiary tax haven tax liability taxable income taxable years beginning taxpayer tion trade or business transfer transitional rule treated treatment truck trust U.S. tax utility
Popular passages
Page 93 - Unrelated trade or business — (a) General rule. The term "unrelated trade or business" means, In the case oí any organization subject to the tax Imposed by section 511, any trade or business the conduct of which Is not substantially related (aside from the need of such organization for Income or funds or the use It makes of the...
Page 13 - In the active conduct of a trade or business and which are received from a person other than a related person...
Page 79 - ... the promotion and stimulation of interest in, and demand for, the products and services of that industry...
Page 15 - As indicated above, one of the categories of tax haven income subject to current taxation under the subpart F provisions of the code is base company sales income. The Tax Reduction Act of 1975 contained an amendment which provides that base company sales income does not include the sale of agricultural commodities which are not grown in the United States in commercially marketable quantities.
Page 15 - Where the qualified energy investment is financed by the proceeds of any industrial development bond, the interest on which is tax exempt by reason of section 103, only 50 percent of the investment is to be taken into account in determining the amount of the credit against the users tax.
Page 96 - Where real property is acquired subject to a mortgage or other similar lien, the amount of the indebtedness secured by such mortgage or lien shall be considered (whether the acquisition was by gift, devise, or purchase) as an indebtedness of the lessor incurred in acquiring such property even though the lessor did not assume or agree to pay such Indebtedness, except that where...
Page 31 - ... (B) Applicable rules. If the allowance of a credit or refund of an overpayment of tax attributable to a work incentive program credit carryback is otherwise prevented by the operation of any law or rule of law other than section 7122, relating to compromises, such credit or refund may be allowed or made, if claim therefor is filed within the period provided in subparagraph (A) of this paragraph.