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Searching Content indexed under Litigation, Mediation & Arbitration by Kirk Lyda ordered by Published Date Descending.
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Taxpayers Cannot Sue Out-of-State Taxing Authorities In Local Courts
The Respondent in the case, Gilbert Hyatt, was a California resident who moved to Nevada.
United States
21 May 2019
2
Texas Tax Update At A Glance
It has been a fairly active first part of 2015 for Texas tax issues—legislatively, judicially, and administratively.
United States
3 Sep 2015
3
The Case For and Against REITs -- Tax-Advantaged Entities, Tax Shelters, or Inept Legislative Drafting?
The use of real estate investment trusts, or "REITs," has increasingly become a point of controversy between state taxpayers and state tax administrators.
United States
23 Nov 2005
4
What Part of "In Michigan" do you not Understand? Michigan Court of Appeals Rejects Attempt to Impose Use Tax on Bowling Balls Used Outside of Michigan
The Michigan Court of Appeals recently rejected an attempt to impose the state’s use tax on items shipped outside of Michigan for use outside of Michigan.
United States
19 Oct 2005
5
Stop the Shenanigans or I’ll Shoot — Tax Reform Texas Style
It stands to be quite an interesting year in Texas taxation. In late November 2004 a Texas district court judge in Austin declared the Texas public school finance system unconstitutional and enjoined the State from funding public schools, but stayed the injunction until October 1, 2005 to give the Legislature time to attempt to fix the tax system.
United States
1 Feb 2005
6
You Can’t Have Your Cake and eat it too — Maryland Holding Company Settlement Program Nets $198.7 Million; Comptroller Bemoans Money Left on the Table
Maryland Comptroller William Donald Schaefer recently reported that the intangible property management company settlement program netted $198.7 million, but the State had to forgo about $306 million that the Comptroller believes he would have collected sooner or later.
United States
31 Jan 2005
7
New York Supreme Court Rules Against Sherwin-Williams
In Sherwin-Williams Co. v. Tax Appeals Tribunal of the Department of Taxation and Finance of the State of New York, the Appellate Division of the New York Supreme Court ruled against Sherwin-Williams, affirming the order of the lower court that Sherwin-Williams was required to file a combined New York corporate franchise tax report with its Delaware-based intangible property holding companies.
United States
11 Jan 2005
8
"I Tax Dead People" - Texas Court of Appeals Holds That Prepaid Funeral Benefits Trusts’ Earnings Derived From Out-of-State Investments Are Included in Texas Gross Receipts
The 3rd District of the Texas Court of Appeals has held that earnings from investments in outof- state investment vehicles are Texas gross receipts for the earned surplus component of the Texas franchise tax if such investments are made through Texas grantor trusts.
United States
9 Sep 2004
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