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The proposals seem to have fallen by the wayside by mid-2009, but earlier in the year Congress seriously considered imposing a “tax” of up to 90 percent on bonuses received by employees (and former employees) of AIG and other entities that had benefited significantly from Troubled Asset...
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This article examines the Supreme Court's two decisions in the late 1980s dealing with the timing of deductions, United States v. Hughes Properties (1986) and United States v. General Dynamics Corp. (1987), and finds those decisions wanting. Indeed, it is hard to understand why the Court...
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This essay, prepared for a symposium on critical theory and tax law, has two goals: to suggest why feminist theory and critical race theory are spreading in taxation and to discuss some dangers of that criticism. The author evaluates three examples of the new criticism: an article on critical...
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This commentary considers one of the least important issues in tax law: whether the value of meals and lodging provided to domestic servants is excludable from the servants' gross income under section 119 of the Internal Revenue Code. Trivial though the issue is, the author goes on and on-and...
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Bob Rains has written a wonderful little book, True Tales for Trying Times: Legal Fables for Today. This review, overflowing with embarrassingly sophomoric humor, explains why you should buy and read True Tales
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