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  1. 11 mar 2024 · Learn about the impact of the decision in The Matter of the Appeal of Microsoft Corporation and Subsidiaries, OTA Case No. 210373336, in which the Office of Tax Appeals decided that the taxpayer, Microsoft Corporation.

  2. 28 lut 2024 · Microsoft is owed a $94 million California income tax refund tied to its treatment of repatriated earnings, the Office of Tax Appeals said in a ruling that could affect the tax liabilities of other multinational companies.

  3. 17 sty 2023 · The panel affirmed the district court’s summary judgment in favor of the Treasury Secretary of the United States in plaintiff’s action alleging she was wrongfully terminated from her employment as a Revenue Officer at the Internal Revenue Service for assessed Unauthorized Access of Taxpayer Data (“UNAX”) offenses.

  4. 25 kwi 2024 · The California Office of Tax Appeals (OTA) decided Appeal of Microsoft Corp. and Subsidiaries, No. 21037336, on July 27, 2023, and on February 14, 2024, rejected the California Franchise Tax Board’s (FTB’s) petition for rehearing.

  5. Parties will be prohibited from filing more than one motion for summary judgment against an adverse party without leave of court; and Parties will be prohibited from introducing new facts in a reply to an opposition to a motion for summary judgment.

  6. 9 sty 2024 · The trial court awarded summary judgment to the employer. The Court of Appeal affirmed summary judgment. Now, in a rare less-than-unanimous vote, the California Supreme Court granted review.

  7. Overview. issued its decision in Microsoft Corp. v. Franchise Tax Board1 (“Microsoft”) reversing a lower court decision in favor of the Franchise Tax Board (“FTB”). In this case, Microsoft challenged the FTB’s sales factor treatment of roy.

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