His Majesty Sultan Haji Hassanal Bolkiah Mu’izzaddin Waddaulah ibni Al-Marhum Sultan Haji Omar ‘Ali Saifuddien Sa’adul Khairi Waddien, Sultan and Yang Di-Pertuan of Brunei Darussalam, the Chancellor of Universiti Teknologi Brunei (UTB) conferred on His Royal Highness Prince (Dr) Haji Al-Muhtadee Billah, the Crown Prince and Senior Minister at the Prime Minister’s Office, and the […]
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New York intermediate appellate court upheld New York State Tax Appeals Tribunal determination finding International Business Machines Corp. and combined affiliates improperly deducted royalty payments from related foreign entities.
Matter of International Business Machs. v. Tax Appeals Trib. of the State of N.Y. IBM improperly deducted royalty payments from related foreign entities for the use of intangible assets because the affiliates were not New York taxpayers subject to the state’s addback laws and the royalty payments would escape taxation.
A New York intermediate appellate court upheld a New York State Tax Appeals Tribunal determination finding that International Business Machines Corp. and its combined affiliates.