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Search results 431 - 440 of 614 for ir.

COURT OF APPEALS
and Roundtree had a “difference in the[ir] theories of defense.” Ksicinski further stated that Roundtree’s
/ca/opinion/DisplayDocument.html?content=html&seqNo=75746 - 2011-12-27

State v. Lester Young
happen each day and it is not unusual for victims to recant the[ir] testimony.” He argues
/ca/opinion/DisplayDocument.html?content=html&seqNo=15919 - 2005-03-31

[PDF] COURT OF APPEALS
that he and Roundtree had a “difference in the[ir] theories of defense.” Ksicinski further stated
/ca/opinion/DisplayDocument.pdf?content=pdf&seqNo=75746 - 2014-09-15

[PDF] COURT OF APPEALS
or to the IRS or the Wisconsin Department of Revenue based upon the 2013 or prior year joint returns would
/ca/opinion/DisplayDocument.pdf?content=pdf&seqNo=174755 - 2017-09-21

Margaret Hoffman v. Thomas V. Rankin, M.D.
of the word; any specialized usage employed by the IRS is irrelevant to the instant inquiry. We note
/ca/opinion/DisplayDocument.html?content=html&seqNo=4640 - 2005-03-31

COURT OF APPEALS
the “open-ended nature” of the Commission’s order “potentially affects the[ir] rights [] to rely upon
/ca/opinion/DisplayDocument.html?content=html&seqNo=31749 - 2008-02-04

[PDF] NOTICE
“potentially affects the[ir] rights [] to rely upon a statue of limitations defense in the future.” We do
/ca/opinion/DisplayDocument.pdf?content=pdf&seqNo=31749 - 2014-09-15

[PDF] Michael B. Sandy v.
the investigator again asked him for payment, Attorney Sandy sent her a check for $100, informed her of the IRS
/sc/opinion/DisplayDocument.pdf?content=pdf&seqNo=17223 - 2017-09-21

[PDF] Office of Lawyer Regulation v. Ralph A. Kalal
to the IRS on Tjader's and Schmeiser's W-2 tax forms, although 6% of those salaries had not been paid
/sc/opinion/DisplayDocument.pdf?content=pdf&seqNo=19954 - 2017-09-21

[PDF] COURT OF APPEALS
at trial—for example, various ledger errors and inconsistencies, a discrepancy between a 2013 IRS 1099
/ca/opinion/DisplayDocument.pdf?content=pdf&seqNo=215886 - 2018-07-25