Hearings, Reports and Prints of the Joint Committee on TaxationU.S. Government Printing Office, 1979 - Income tax |
From inside the book
Results 1-5 of 89
Page 3
... ending before its termination date . A plan which is a single - employer plan under present law , and which would otherwise be a multiemployer plan under the bill , would generally be permitted to elect to retain its single - employer ...
... ending before its termination date . A plan which is a single - employer plan under present law , and which would otherwise be a multiemployer plan under the bill , would generally be permitted to elect to retain its single - employer ...
Page 4
... ending before February 28 , 1979 , would be allocated to the employers who maintained the plan before that date and continued to maintain the plan after February 27 , 1979 until withdrawal . The share of these unfunded obligations for ...
... ending before February 28 , 1979 , would be allocated to the employers who maintained the plan before that date and continued to maintain the plan after February 27 , 1979 until withdrawal . The share of these unfunded obligations for ...
Page 5
... ending on or before the date of termination . A reduction of contributions would be permitted , with approval of the PBGC , where the plan is becoming fully funded . The bill would authorize the PBGC to prescribe reporting require ...
... ending on or before the date of termination . A reduction of contributions would be permitted , with approval of the PBGC , where the plan is becoming fully funded . The bill would authorize the PBGC to prescribe reporting require ...
Page 11
... multiemployer plan after its termination if it was a multiemployer plan for the plan year ending before its termina- tion date . 1 1 See DOL Regs . § 2510. 3-37 . A plan which is not a multiemployer plan under present ( 11 )
... multiemployer plan after its termination if it was a multiemployer plan for the plan year ending before its termina- tion date . 1 1 See DOL Regs . § 2510. 3-37 . A plan which is not a multiemployer plan under present ( 11 )
Page 17
... ending on or after February 28 , 1979 , in which the employer was required to contrib- ute to the plan . In the case of an employer who was not required to con- tribute to the plan for a plan year ending before February 28 , 1979 , the ...
... ending on or after February 28 , 1979 , in which the employer was required to contrib- ute to the plan . In the case of an employer who was not required to con- tribute to the plan for a plan year ending before February 28 , 1979 , the ...
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Common terms and phrases
Act and sec Act provides adjusted allowed alternative minimum tax amendment amount basis benefits bill capital gains carryover Code compensation Congress believes contributions corporation date The provision decedent December 31 deduction deferred determined earned income effect This provision Effective date election eligible employer ERISA estate tax excess excise tax exemption Explanation of provision facilities Federal filing foreign tax credit gift tax gross income income tax increase individual interest Internal Revenue Service investment credit itemized deductions joint return limitation loss married couples ment minimum tax multiemployer plan partnership payments PBGC percent period present law Prior law production proposed treaty provision The Act qualified Reasons for change refund regulations resident respect Revenue effect rules spouse tax expenditures tax liability tax rate tax treaty taxable income taxable years beginning taxation taxpayer tion trade or business trust U.S. tax United windfall profit tax
Popular passages
Page 7 - royalties" as used in this Article means payments of any kind received as a consideration for the use of, or the right to use, any copyright of literary, artistic or scientific work including...
Page 45 - Generally such relationship exists when the person for whom services are performed has the right to control and direct the individual who performs the services, not only as to the result to be accomplished by the work but also as to the details and means by which that result is accomplished.
Page 106 - ... personal holding company income as defined in section 543, and if at any time during the last half of the taxable year more than 50 percent in value of its outstanding stock is owned, directly or indirectly, by or for not more than five individuals. (Sections 541-547.) Foreign personal holding companies. — Section 551 (a) requires that the undistributed foreign personal holding company income...
Page 1 - Extensive hearings followed before the House Committee on Ways and Means, and the Senate Committee on Finance.
Page 7 - A resolution shall be referred to the Committee on Ways and Means and the Committee on Education and Labor of the House of Representatives and to the Committee on Finance and the Committee on Labor and Human Resources of the Senate.
Page 140 - ... persons who have completed or left high school and who are available for full-time study in preparation for entering the labor market...
Page 171 - At any time during the tax year, did one foreign person own, directly or Indirectly, at least 25% of (a) the total voting power of all classes of stock of the corporation entitled to vote or (b) the total value of all classes of stock of the corporation? If "Yes.
Page 5 - For the purposes of the preceding paragraphs, the profits to be attributed to the permanent establishment shall be determined by the same method year by year unless there is good and sufficient reason to the contrary.
Page 177 - December 31, 1978, this section also applies to each activity — (i) engaged in by the taxpayer in carrying on a trade or business or for the production of income, and (ii) which is not described in paragraph (1).
Page 145 - All employees of all corporations that are members of a controlled group of corporations are to be treated as if they were employees of the same corporation for purposes of determining the years of employment of any employee and wages for any employee up to $6,000.