WebNo. 16-1712 Summa Holdings v. Comm’r of Internal Revenue Page 5 Summa Holdings is the parent corporation of a group of companies that manufacture a variety of industrial … WebSep 30, 2024 · Commissioner, 158 T.C. No. 5 (Mar. 31, 2024). The taxpayer's notice of appeal in Bats Global was filed on August 12, 2024 (10th Cir. Docket No. 22-9002). Petitioner represents that Bats Global is its subsidiary and that the legal issues in the two cases are similar. On September 26, 2024, respondent filed a status report in which he objected to ...
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WebDec 6, 2024 · Populous Holdings, Inc. v. Comm'r. United States Tax Court. December 6, 2024, Decided. Docket No. 405-17. Opinion. ORDER. On March 15, 2024, the parties filed … WebPOPULOUS HOLDINGS, INC., )) Petitioner(s), )) v. ) Docket No. 405-17.) COMMISSIONER OF INTERNAL REVENUE, )) Respondent ) ORDER On March 15, 2024, the parties filed cross …
WebFree Call: 844-467-9267 Home; About. What is the R&D Tax Credit? About Swanson Reed; Our Team; Our Fees; Services WebJan 24, 2024 · On December 6, 2024, the Court issued an order granting summary judgment to the taxpayer, Populous Holdings, Inc. (“Populous”), finding that the company’s …
WebOct 28, 2024 · Summary of this case from Cub Creek Pres. v. Comm'r of Internal Revenue In Coal Property Holdings, LLC v. Commissioner, 153 T.C. 126, 137-140 (2024), we held that a deed of easement failed to satisfy these regulatory requirements where the donee's share of post-extinguishment sale proceeds was improperly reduced in two ways--by carve-outs … WebPopulous Holdings, Inc. v. Comm’r, Docket No. 21079-18 (U.S. Tax Court 2024). Populous Holdings, Inc. (formerly known as HOK Sport) is an architecture firm that specializes in …
WebAn architectural design firm, Populous Holdings, Inc. (Populous or taxpayer), claimed federal research credits related to its architectural design services in 2010 and 2011. The IRS …
WebPopulous, an architectural design services firm, claimed R&D credits for research activities conducted in tax years 2010 and 2011. The IRS denied Populous’ claims, arguing that the … simon thurstanWebYAM Special Holdings, Inc. v. Comm’r of Revenue, No. 9122-R, 2024 WL 6213168, at *8 (Minn. T.C. Nov. 12, 2024). Because we conclude that the gain from the sale is business income of a unitary business, we affirm. FACTS The facts are undisputed. YAM is an Arizona “S” corporation. Its principal place simon thwaite caernarfonWeb19 C.F.R. § 210.76 based on the final judgment of invalid-ity” of the patent asserted in the underlying Section 337. 1. investigation. 2. DBN Holding, Inc. v. Int’l Trade Comm’n, 755 F. App’x 993, 998 (Fed. Cir. 2024) (non-precedential). On remand, the International Trade Commission deter- simon thwaitesWebMay 7, 2024 · Petitioners in these consolidated cases are Beekman Vista, Inc. (Beekman Vista), a U.S. corporation, and Dynamo GP, Inc. (Dynamo GP), the tax matters partner of Dynamo Holdings Limited Partnership (Dynamo), a partnership. The Commissioner determined an addition to tax under section 6651 (a) (1) and a penalty under section 6656 … simon thwaites nzWebDec 2, 2024 · United States TAX COURT WASHINGTON, DC 20247 POPULOUS HOLDINGS, INC., Petitioner(s), v. COMMISSIONER OF INTERNAL REVENUE, Respondent Docket No. 405-17. ORDER On March 15, 2024, the parties filed cross-motions for summary judgment on the issue of whether petitioner is entitled to a credit ... simon thyerWebMar 20, 2024 · BACKGROUND. CRA Holdings U.S., Inc (“CRA”) v. United States (No. 15-CV-239W (F)) (2024) Environmental engineering firm CRA claimed to have undertaken 6,100 research projects in 2002 and 2003. For these, it claimed a R&D Tax Credit refund of $419,924 in 2002, and $1,029,402 in 2003. It did so with assistance from tax consultancy … simon thyssen-bornemiszaWebJun 29, 2015 · In Summa Holdings, Inc. v. Commissioner, 109 T.C.M. (CCH) 1612, 2015 WL 3943219 (2015), James Benenson, Jr. ("James Jr.") and Sharen Benenson were the trustees of a trust (the "Benenson Trust") for which their two sons ("James III" and Clement) were the beneficiaries. Summary of this case from Mazzei v. Comm'r simontimmerwerken gmail.com