Declaring Back Taxes Owed From Foreign Funds In Offshore Accounts
2025.10.28 19:21

The courts have generally held that direct taxes are restricted to taxes on people (variously called capitation, poll tax or head tax) and property. (Penn Mutual Indemnity Corp. v. C.I.R., 227 F.2d 16, 19-20 (3rd Cir. 1960).) Various other taxes are commonly referred to as "indirect taxes," because they tax an event, rather than person or property per se. (Steward Machine Co. v. Davis, 301 U.S. 548, 581-582 (1937).) What were a straightforward limitation on the power of the legislature based on the topic of the tax proved inexact and unclear when applied with regard to an income tax, that can easily be arguably viewed either as a direct or an indirect tax.
The employer probably pays the waitress a minimal wage, as well as allowed under many minimum wage laws because she gets a job that typically generates creative ideas. The IRS might therefore debate that my tip is paid "for" the business. But I am under no compulsion to leave the waitress anything. The employer, on the other guitar hand, is obliged to pay for the services his workers render. So i don't think the exception under Section 102 provides. If the tip is taxable income to the waitress, it is simply under the general principle of Section sixty one.
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(iii) Tax payers of which are professionals of excellence need not be searched without there being compelling evidence and confirmation of substantial cibai.
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