§1601

19 cases·1 followed·3 distinguished·15 cited5% support

Statute text not available for this section.

19 Citing Cases

We have reached a common understanding regarding the following specific issue: The question relates to section 1601 of the bill which excludes from unrelated trade or business income revenues from the use of a tax-exempt organization's mailing list by another such organization.

We have reached a common understanding regarding the following specific issue: The question relates to section 1601 of the bill which excludes from unrelated trade or business income revenues from the use of a tax-exempt organization's mailing list by another such organization.

cy in which positions are also traded through regulated future contracts, (ii) which is traded in the interbank market, and 'In 2010 sec. 1256(b) was amended pursuant to the Dodd-Frank Wall Street Reform and Consumer Protection Act, Pub. L. 111-203, sec. 1601, 124 Stat. 2223 (2010), to additionally exclude from the definition of a "section 1256 contract" any interest rate swap, currency swap, basis swap, interest rate cap, interest rate floor, commodity swap, equity swap, equity index swap, cred

We have reached a common understanding regarding the following specific issue: The question relates to section 1601 of the bill which excludes from unrelated trade or business income revenues from the use of a tax-exempt organization's mailing list by another such organization.

Common Cause, Petitioner 112 T.C. No. 23 · 1999

We have reached a common understanding regarding the following specific issue: The question relates to section 1601 of the bill which excludes from unrelated trade or business income revenues from the use of a tax-exempt organization's mailing list by another such organization.

Common Cause v. Commissioner 112 T.C. 332 · 1999

We have reached a common understanding regarding the following specific issue: The question relates to section 1601 of the bill which excludes from unrelated trade or business income revenues from the use of a tax-exempt organization’s mailing list by another such organization.

- 35 - The question relates to section 1601 of the bill which excludes from unrelated trade or business income revenues from the use of a tax-exempt organization's mailing list by another such organization.

1601 et seq., and 3 U.S.C. sec. 301, I, Jimmy Carter, President of the United States, find that the situation in Iran constitutes an unusual and extraordinary threat to the national security, foreign policy and economy of the United States and hereby declare a national emergency to deal with that threat. I hereby order blocked all property and

EEOC v. Ferrellgas, L.P. 97 F.4th 338 · Cir.
United States v. Bernard Jaffe, Jr. 417 F.3d 259 · Cir.
Halliburton Co. v. Commissioner 93 T.C. 758 · 1989
Prabel v. Commissioner 91 T.C. 1101 · 1988
Paul v. Commissioner 77 T.C. 755 · 1981
Estate of Graham v. Commissioner 46 T.C. 415 · 1966
OMJ Pharmaceuticals, Inc. v. United States 753 F.3d 333 · Cir.
State of Texas v. USA · Cir.
State of Texas v. USA 809 F.3d 134 · Cir.
United States v. Vaello-Madero 956 F.3d 12 · Cir.