Capital Gains Exception to the House's "General Utilities" Repeal: Further Indigestions from Overly Processed "Corn Products" John W
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Eugenicists, White Supremacists, and Marcus Garvey in Virginia, 1922-1927
W&M ScholarWorks Dissertations, Theses, and Masters Projects Theses, Dissertations, & Master Projects 2001 Strange Bedfellows: Eugenicists, White Supremacists, and Marcus Garvey in Virginia, 1922-1927 Sarah L. Trembanis College of William & Mary - Arts & Sciences Follow this and additional works at: https://scholarworks.wm.edu/etd Part of the African History Commons, and the United States History Commons Recommended Citation Trembanis, Sarah L., "Strange Bedfellows: Eugenicists, White Supremacists, and Marcus Garvey in Virginia, 1922-1927" (2001). Dissertations, Theses, and Masters Projects. Paper 1539624397. https://dx.doi.org/doi:10.21220/s2-eg2s-rc14 This Thesis is brought to you for free and open access by the Theses, Dissertations, & Master Projects at W&M ScholarWorks. It has been accepted for inclusion in Dissertations, Theses, and Masters Projects by an authorized administrator of W&M ScholarWorks. For more information, please contact [email protected]. STRANGE BEDFELLOWS- Eugenicists, White Supremacists, and Marcus Garvey in Virginia, 1922-1927. A Thesis Presented to The Faculty of the Department of History The College of William and Mary In Partial Fulfillment Of the Requirements for the Degree of Master of Arts by Sarah L. Trembanis 2001 APPROVAL SHEET This thesis is presented in partial fulfillment of the requirements for the degree of Master of Arts Sarah L. Trembanis Approved, August 2001 (?L Ub Kimbe$y L. Phillips 'James McCord TABLE OF CONTENTS Page Acknowledgments iv Abstract v Introduction 2 Chapter 1: Dealing with “Mongrel Virginians” 25 Chapter 2: An Unlikely Alliance 47 Conclusion 61 Appendix One: An Act to Preserve Racial Integrity 64 Appendix Two: Model Eugenical Sterilization Law 67 Bibliography 74 Vita 81 iii ACKNOWLEDGMENTS First of all, I would like to thank my advisor, Professor Kimberly Phillips, for all of her invaluable suggestions and assistance. -
Instructions for Form 6251 7
Revised Proof Ok to Print Rtext sent (date) Requested (init. & date) (init. & date) Page 1 of 8 of Instructions for Form 6251 7 The type and rule above prints on all proofs including departmental reproduction proofs. MUST be removed before printing. Department of the Treasury Internal Revenue Service Instructions for Form 6251 Alternative Minimum Tax—Individuals (Section references are to the Internal Revenue Code unless otherwise noted.) General Instructions cases, line 20). The forms used to figure Credit For Prior Year these credits have information on the tentative minimum tax limit. Minimum Tax Paperwork Reduction Act Get Form 8801, Credit For Prior Year Notice Additional Information Minimum Tax—Individuals and We ask for the information on this form Fiduciaries, if you paid AMT for 1991, or For more details, get Pub. 909, if you had a minimum tax credit to carry out the Internal Revenue laws of Alternative Minimum Tax for Individuals. the United States. You are required to carryforward on line 26 of your 1991 give us the information. We need it to Form 8801. If you pay AMT for 1992, ensure that you are complying with Recordkeeping you may be able to take a credit on your these laws and to allow us to figure and For AMT purposes, certain items of 1993 Form 8801. collect the right amount of tax. income, deductions, etc., receive The time needed to complete and file different tax treatment than for regular Earned Income Credit this form will vary depending on tax purposes. Therefore, for the AMT If you have an earned income credit, you individual circumstances. -
The U.S. Corporation Income Tax: a Primer for U.S
The U.S. Corporate Income Tax: A Primer for U.S. Policymakers James P. Angelini, PhD, CPA David G. Tuerck, PhD THE BEACON HILL INSTITUTE AT SUFFOLK UNIVERSITY 8 Ashburton Place Boston, MA 02108 Tel: 617-573-8750, Fax: 617-994-4279 Email: [email protected], Web: www.beaconhill.org JULY 2015 The Beacon Hill Institute Beacon Hill The The U.S. Corporation Income Tax: A Primer for U.S. Policy Makers James P. Angelini and David G. Tuerck1 Executive Summary The U.S. corporate income tax is ripe for change – that’s what you will believe, anyway, if you follow the news as it relates to this subject. There is concern on the part of both major parties about the fact that the U.S. rate is the highest among OECD countries and that the U.S. policy of taxing corporations on a global, rather than a territorial, basis is causing trillions of dollars in corporate profits to be stranded in foreign banks. In this paper we describe how corporations and other business entities are taxed in the United States. We report statutory tax rates for the United States and other countries and discuss common U.S. corporate and business income tax avoidance schemes. We calculate an average effective tax rate for the United States and show how marginal effective tax rates affect investment decisions through their effects on the cost of capital. We report marginal effective tax rates for the United States and other countries and show how changes in statutory tax rates can affect investment, given different assumptions about the sensitivity of investment to changes in the cost of capital. -
Farm Income Tax Management and Reporting
November 1991 A.E. Ext. 91-29 FARM INCOME TAX MANAGEMENT AND REPORTING Reference Manual [lONE WAy:1] IRS George L. Casler Stuart F. Smith • Department of Agricultural Economics New York State College of Agriculture and life Sciences A Statutory College of the State University Cornell University, Ithaca, New York 14853-7801 It is the policy of Cornell University actively to support equality of educational and employment opportunity. No person shall be denied admission to any educational program or activity or be denied employment on the basis of any legally prohibited dis crimination involving, but not limited to, such factors as race, color, creed, religion, national or ethnic origin, sex, age or .. handicap. The University is committed to the maintenance of •. affirmative action programs which will assure the continuation of such equality of opportunity. 1991 TAX FORMS NEEDED BY NEW YORK FARMERS Federal Forms 1040 - U.S. Individual Income Tax Return (R) Schedule A & B - Itemized Deductions and Dividend and Interest Income (R) Schedule D - Capital Gains and Losses (and Reconciliation of Forms 1099-B) (R) Schedule E - Supplemental Income Schedule Schedule EIC - Earned Income Credit (New) Schedule F - Farm Income and Expenses. Line added for car and truck expo Schedule R - Credit for Elderly or the Disabled Schedule SE - Computation of Social Security Self-Employment Tax (R) 1040EZ - Income Tax Return for single filers with no dependents, income under $50,000, interest under $400, other limitations 1040A - Nonitemizers, under $50,000 taxable income, other limitations (R) 1040X - Amended U.S. Individual Income Tax Return 943 - Employer's Annual Tax Return for Agricultural Employees 1099 - Information returns to be filed by person who makes certain payments 1096 - Annual Summary and Transmittal of U.S. -
2003 Chapter 2
2003 Workbook Chapter 2: Small Business Issues 2 Issue 1 — Form 4797 ....................................................... 47 Issue 5 — Change of Accounting Method: IRC §481(a) Adjustments................................................ 98 Issue 2 — Construction Industry Issues ........................ 64 Issue 6 — New Business Credits................................... 110 Issue 3 — Purchase of a Business ................................... 80 Endnotes ......................................................................... 115 Issue 4 — Gain/Loss on Repossessed Property ............. 86 Corrections were made to this workbook through January of 2004. No subsequent modifications were made. ISSUE 1 — FORM 4797 INTRODUCTION When taxpayers sell assets used in their trade or business, they record the sale on Form 4797, Sales of Business Property. The form is designed to sort assets by type and to allow the recapture of depreciation and IRC §179 deduc- tions. Ultimately, the sales are sorted into capital gains and losses, and ordinary income. The capital gains and losses transfer to Schedule D, and the ordinary income from depreciation recapture is reported on line 14 of Form 1040. There are three advantages to reporting sales on Form 4797: 1. Normally, the gains avoid being taxed for self-employment tax. 2. A portion of the gain may be eligible for capital gain treatment and taxed at a lower rate. 3. Losses from the sale of the business assets are fully deductible as ordinary losses. Form 4797 is used to report the sale or exchange of: 1. Depreciable or amortizable property; 2. Oil, gas, geothermal, or other mineral property; and 3. IRC §126 property. Other transactions reported on Form 4797 include: 1. Involuntary conversion (from other than a casualty or theft) of property used in a trade or business, 2. -
Politics Makes Strange Bedfellows: the BC Party System
Politics Makes Strange Bedfellows: The B.C. Party System in the 1952 and 1953 Provincial Elections* DAVID J. ELKINS Many observers of Canadian political parties assume that Social Credit is a right-wing party. Elmore Philpott, a columnist for the Vancouver Sun, repeatedly charged Social Credit with being the "new Conservatives without whiskers". In late 1952, for example, he averred that "any true Liberal or intelligent CCF-er who gives his first or second choice votes to Social Credit should have his head read, for that reactionary, extreme right-wing party is furthest removed from everything he really wants".1 Such perceptions, of course, have some foundation. For example, the origins of Social Credit strength in B.C. could be traced largely to the defection from the provincial Conservative party of W. A. C. Bennett and Tilly Rolston and their subsequent role in the new Social Credit League. Furthermore, the "funny money" doctrines and religious fundamentalism of the Alberta Social Credit government probably led many residents to view the B.C. branch as very conservative. Social Credit candidates com monly denounced socialist and communist threats, and this rhetoric no doubt contributed to their image as right-wing. Notwithstanding this common impression, there are good grounds for assurning that the Social Credit League of B.C. is a middle-of-the-road party. This view is apparently shared by the current premier, Bill Ben nett: "No party of the extreme right or the extreme left can survive. We are a populist party slightly to the right of centre. The NDP is a populist party slightly to the left."2 During the 1950s and 1960s, under Premier W. -
Strange Bedfellows: Native American Tribes, Big Pharma, and the Legitimacy of Their Alliance
KENNEDY IN PRINTER FINAL (DO NOT DELETE) 5/24/2019 11:04 PM Notes STRANGE BEDFELLOWS: NATIVE AMERICAN TRIBES, BIG PHARMA, AND THE LEGITIMACY OF THEIR ALLIANCE DANIEL C. KENNEDY† ABSTRACT Lost in the cacophony surrounding the debate about high drug prices is the fundamental principle that pharmaceutical innovation will not occur without the prospect of outsized returns enabled through market exclusivity. Biopharmaceutical patents are currently under siege, subject to challenge both in inter partes review (“IPR”) proceedings and in Hatch-Waxman actions. These twin assaults threaten to eliminate the incentives necessary for biotechnological innovation—particularly for discoveries made upstream in the innovation pipeline—thus imperiling the development of new drug therapies. But a fascinating solution has emerged: invoking tribal immunity to shield pharmaceutical patents from IPR before the Patent Trial and Appeal Board (“PTAB”). This serves two critically important objectives: promoting tribal self-sufficiency, and encouraging investment in life-saving and life-improving new drugs. Contractual partnerships between Native American tribes and pharmaceutical companies not only provide the tribes with a steady stream of royalty revenue, but also insulate biopharmaceutical patents from challenge in IPR proceedings through the invocation of long- established principles of tribal sovereign immunity. This Note is the first piece of scholarship to comprehensively analyze, and advocate for, the right to invoke tribal sovereign immunity in IPR proceedings. Copyright © 2019 Daniel C. Kennedy. † Duke University School of Law, J.D. expected 2019; College of William & Mary, B.A. 2015. I am deeply grateful for the insight of Professor Arti Rai in drafting this Note, Professor Buz Waitzkin for inspiring it, and the Duke Law Journal team for their spot-on suggestions and revisions. -
2011–2012 Federal Income Tax Law Course Deskbook
2011-2012 FEDERAL INCOME TAX LAW COURSE DESKBOOK November 2011 - January 2012 Deskbook Table of Contents Page Administrative Matters Faculty Biographies ............................................................................................................... ii Outlines and Materials Communicating with the IRS ............................................................................................. A-1 Professional Responsibility ................................................................................................. B-1 Casualty Tax Issues .............................................................................................................C-1 Deployment Tax Issues ....................................................................................................... D-1 Adjustments to Income ........................................................................................................ E-1 Tax Aspects of Individual Retirement Arrangements (IRAs) ............................................. F-1 Tax Aspects of Stocks & Mutual Funds ............................................................................. G-1 Tax Aspects of Real Property ............................................................................................. H-1 Tax Credits ........................................................................................................................... I-1 Sale of Rental Property ........................................................................................................ -
Strange Bedfellows in Airbnb Dispute
GOV. CUOMO eats (and eats and eats) his way through New York CRAIN’S® PAGE 33 NEW YORK BUSINESS ap images VOL. XXIX, NO. 41 WWW.CRAINSNEWYORK.COM OCTOBER 14-20, 2013 PRICE: $3.00 Strange bedfellows in Airbnb dispute Landlords, tenant groups find a common enemy in home-rental service BY MATTHEW FLAMM For Airbnb, it is pretty much an article of faith that its short-term home- rental service is no ordinary business but a community of users taking part in the “sharing economy.” But Airbnb is also helping to build another type of community, one filled with New Yorkers who ordinarily can’t stand each other: tenant advocates and building owners, who say that when it comes to stopping Airbnb, they share SANDY: 1 YEAR LATER a common cause. “I’ve always been on the opposite side of the table from [landlords],”said AA marathonmarathon efforteffort See AIRBNB on Page 31 Cancellation cost NYRR $4 million—and hurt its reputation. De Blasio’s Now Mary Wittenberg is rebuilding and expanding its mission top donor is getty images pension pal BY LISA FICKENSCHER IN THE DARK DAYS FOLLOWING SUPERSTORM SANDY, Mary Wittenberg believed deeply that the marathon scheduled for Sunday would be the inspirational event Class-action lawyer that the city needed to help it heal. When the calls came, louder and louder, to bundles thousands; cancel the event, she resisted. firm earns millions In taking that stand,the chief executive of the New York Road Runners,which organizes the ING New York City Marathon, became the object of intense vit- BY CHRIS BRAGG riol. -
ABCT 2020 54Th Annual Convention
vir tual ABCT 2020 54th Annual Convention November 17–22 Association for Behavioral and Cognitive Therapies Board of Directors President . .Martin M. Antony, Ph.D. President-Elect . .David F. Tolin, Ph.D. Past President . Bruce F. Chorpita, Ph.D. Secretary-Treasurer . Sandra Pimentel, Ph.D. Representative-at-Large (2020) . Risa B. Weisberg, Ph.D. Representative-at-Large (2021) . Shireen Rizvi, Ph.D. Representative-at-Large (2022) . Amie E. Grills, Ph.D. Coordinators and Committee Chairs Convention and Education Issues Committees . Katharina Kircanski, Ph.D. Continuing Education Committee . Anu Asnaani, Ph.D. Institutes Committee . Samantha Farris, Ph.D. Workshops Committee . Christina Boisseau, Ph.D. AMASS Committee . .Brian Baucom, Ph.D. Master Clinician Seminar Series . Courtney Benjamin Wolk, Ph.D. Research and Professional Development . .Cole Hooley, Ph.D. Volunteer Committee . .Abby Adler Mandel, Ph.D. Program Committee, 2020 . Shannon Wiltsey Stirman, Ph.D. Associate Program Chair, 2020 . Dan Cheron, Ph.D. Program Committee, 2021 . Gregory Chasson, Ph.D. Associate Program Chair, 2021 . Elizabeth Katz, Ph.D. Membership Issues Committees . Kathleen Gunthert, Ph.D. Special Interest Groups Committee . Lance Rappaport, Ph.D. Membership Committee . Thomas Rodebaugh, Ph.D. Committee on Student Members . Shannon Blakey, Ph.D. Committee on Leadership and Elections . Patricia DiBartolo, Ph.D. Committee on Clinical Directory and Referral Issues . Daniella Cavenagh, Ph.D. List-Serve Committee . Jamie Micco, Ph.D. Social Networking Media Committee . Shari Steinman, Ph.D. Fellows Committee . Linda Sobell, Ph.D. Academic and Professional Issues Committees . Katherine J. W. Baucom, Ph.D. Committee on International Associates . Lata McGinn, Ph.D. Committee on Academic Training & Education Standards . Lee Cooper, Ph.D. -
1099 Information Guide 1099 Information Guide
1099 Information Guide 1099 Information Guide Your Consolidated Form 1099 is the authoritative document for tax reporting purposes. Due to Internal Revenue Service (IRS) regulatory changes that have been phased in since 2011, TD Ameritrade is now required (as are all broker-dealers) to report adjusted cost basis, gross proceeds, and the holding period when certain securities are sold. We created this 1099 Information Guide to help streamline tax preparation and ensure accurate reporting of dividends, income, and taxable gains and losses. This document clarifies and highlights changes that may be of particular interest to you when filing your 2020 taxes. Use the interactive table of contents to navigate the document. 1099 Information Guide 2 1099 Information Guide Contents 1. Dividends and Distributions (1099-DIV, Summary and Detailed) .......................................................................................4 2. Sales Transactions (Summary and Detailed) .............................................................................................................................. 8 3. 1099-B ...................................................................................................................................................................................................11 4. Regulated Futures and Section 1256 Contracts (1099-B) ...................................................................................................14 5. 1099-INT ...............................................................................................................................................................................................15 -
BROADCAST POET TALE H
BROADCAST POET TALE h NO. 1,2001 $5 •••"*• A real departure from the routine FLYINQ JAYHAWKS 2001 ITINERARY WIMTER Sep. 29-Oct. 10 ..Canada and hew England Amid Jan. 28 - Feb. 11 Eastern § Oriental Express the Autumn Splendor From $5,495 From $3,495 Feb. 24 - Mar. 4 The Greatest Voyage in Natural Oct. 4 - 9 ..Natural Wonders of the Great History-Amazon Pacific Northwest From $3,455 From $1,300 Oct. 8-19 ..Wings Over the Okavango SPRING Safari From $7,950 Mar. 27 - Apr. 3 Big 12 Paris Deluxe Escapade From $1,995 ALUMNI COLLEGES Apr. 2-21 South America Expedition by Private Luxury Jet Don't miss the opportunity to take part in our most popular excursions-Alumni Campus From $29,950 Abroad. These special nine-day immersion programs give alumni the opportunity to fully explore the culture, history and traditions of a specific region. Prices include round-trip air Apr. 17 - 28 Treasures of the Seine and daily breakfast buffet, two-course lunch and three-course dinner and lodging. From $3,595 Sorrento, April 16-24, $2,395 SUMMER Provence, May 22-30, $2,395 May 31 - Jun. 14 Cruise the Imperial on On the Legendary Rhine, May 24-June 1, $2,395 the Magnificent Elbe Spain June 4-12, $2,095 From $4,095 PortugaUune 11-19, $2,195 Ml-14 Voyage of the Goddess Wales, July 25-Aug. 2, $2,345 From $5,795 Tuscany-Chianti Region, Sept. 16-24, $2,295 M 4-15 The Waterways of the Glens On the Fabled Island of Sicily, Sept.