Deck 1: Understanding and Working With the Federal Tax Law

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Question
The Internal Revenue Code is a compilation of Federal tax legislation that appears in Title 26 of the United States Code.
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Question
The favorable treatment of research and development expenses is one means of controlling the economy.
Question
Proposed Regulations have the force and effect of law.
Question
These Internal Revenue Code citations are incorrect: § 2121) and § 12211).
Question
Although a corporation is subject to a Federal income tax, a partnership is not.
Question
The Federal income tax law allows a taxpayer to claim a deduction for state and local income taxes but limits all state taxes to a maximum of $10,000.
Question
Alabama and South Carolina are community property states.
Question
The encouragement of private-sector pension plans can be justified under the encouragement of certain industries.
Question
A tax bill cannot originate in the Senate Finance Committee.
Question
One of the justifications for the enactment of the tax law governing corporate reorganizations was the economic benefit it would provide businesses including making them more efficient).
Question
The U.S. Federal government has a provision in the Constitution that precludes deficit spending.
Question
Temporary Regulations have the same authoritative value as Final Regulations for four years.
Question
Internal Revenue Code § 6 involves gross income and § 7 outlines itemized deductions.
Question
One Internal Revenue Code section enables shareholders in a small business corporation to obtain an ordinary deduction for any loss recognized on a stock investment.
Question
Longer class lives for depreciable property and the required use of the straight-line method of depreciation would likely dampen the tax incentive for purchasing capital assets.
Question
Revenue-neutral tax laws reduce deficits.
Question
Taxpayers may read Committee Reports to determine the intent of Congress.
Question
Subchapter P refers to the subchapter in the Internal Revenue Code that deals with partners and partnerships.
Question
Many states have balanced budgets because laws or constitutional amendments preclude deficit spending.
Question
Regulations are arranged in a different sequence than the Internal Revenue Code.
Question
A taxpayer must pay any tax deficiency assessed by the IRS and sue for a refund to bring suit in the U.S. District Court.
Question
Appeals from the U.S. Court of Federal Claims go to the U.S. Supreme Court.
Question
A Revenue Ruling is a legislative source of Federal tax law.
Question
"Legislative" regulations carry more weight than "interpretative" regulations.
Question
The like-kind tax free exchange treatment is an example of the wherewithal to pay concept.
Question
Proposed Regulations are published in the Federal Register.
Question
Revenue Procedures deal with the internal management practices and procedures of the IRS.
Question
A change in the individual tax rate has an almost immediate impact on the economy.
Question
The U.S. national debt is around $11 trillion.
Question
A U.S. District Court must abide by the precedents set by the U.S. Court of Appeals of its jurisdiction.
Question
Treasury Decisions are issued by the Treasury Department to promulgate new Regulations.
Question
Determination letters usually involve proposed transactions.
Question
When there is a direct conflict between an Internal Revenue Code section and a treaty provision, the most recent item takes precedence.
Question
The Golsen rule no longer applies to the U.S. Tax Court.
Question
Regulations are issued by the Treasury Department.
Question
Revenue Rulings carry the same legal force and effect as Regulations.
Question
A jury trial is available when a case is heard by a U.S. Court of Appeals.
Question
In a U.S. District Court, a jury can decide both questions of fact and questions of law.
Question
Letter rulings are issued by the National Office of the IRS.
Question
Only one judge hears a trial in a U.S. District Court.
Question
The annual gift tax exclusion in 2019 is $15,000.
Question
Which provision could best be justified as encouraging small business?

A) Ordinary loss allowed on § 1244 stock.
B) Percentage depletion.
C) Charitable contributions deduction.
D) Interest deduction on home mortgage.
E) None of these.
Question
Which provision is not justified by social considerations?

A) Refundable earned income credit.
B) Adoption tax credit.
C) Like-kind exchange treatment.
D) Disallowance of illegal kickbacks.
E) None of these.
Question
Which citation is considered to be a statutory legislative) citation?

A) Ltr. Rul. 199952058.
B) Ann. 94-5, 1994-2 I.R.B. 39.
C) Reg. § 1.1014-1c)1).
D) § 351.
E) None of these.
Question
Regulations are first published in:

A) Federal Register.
B) Cumulative Bulletin.
C) Internal Revenue Bulletin.
D) I.R.S. Digest.
E) All of these.
Question
Revenue Procedures are published in the:

A) Congressional Record.
B) Federal Revenue Bulletin.
C) Internal Revenue Bulletin.
D) I.R.S. Digest.
E) None of these.
Question
The taxation part of the CPA exam REG) is now one-third essay.
Question
Which of the following sources has the highest tax authority?

A) Treasury Regulation.
B) Revenue Procedure.
C) Internal Revenue Code.
D) Temporary Regulation.
E) All have the same weight.
Question
Which state is not a community property state?

A) Arizona.
B) Texas.
C) New Mexico.
D) Virginia.
E) None of these.
Question
The Standard Federal Tax Reporter is published by Research Institute of America.
Question
Douglas and Sue, related parties, are landlord and tenant as to certain business property. If the IRS questions the amount of rent Sue is paying to Douglas, this is an illustration of the:

A) Arm's length concept.
B) Continuity of interest concept.
C) Tax benefit rule.
D) Substance over form concept.
E) None of these.
Question
Internal Revenue Code Section 318, which deals with the definition of related parties with respect to stock redemptions, includes brothers and sisters in the related-party definition.
Question
A Technical Advice Memorandum is issued by:

A) Treasury Department.
B) National Office of the IRS.
C) Office of Chief Council.
D) Area Director.
E) None of these.
Question
Indexation of various income tax components was eliminated by the Tax Cuts and Jobs Act of 2017.
Question
Regarding Technical Advice Memoranda, which statement is incorrect?

A) Issued by the National Office of IRS.
B) Most often deal with a completed transaction.
C) May be cited and used as precedent.
D) Issued with multi-digit file numbers.
E) None are incorrect.
Question
Which provision could best be justified as a means of controlling the economy?

A) Write-off of research and development expenditures.
B) The § 179 immediate expensing of depreciable capital expenditures.
C) Amortization of pollution control facilities.
D) The rehabilitation tax credit.
E) None of these.
Question
Complete avoidance of a capital gain tax occurs when the owner of appreciated property transfers it by death.
Question
When there is a direct conflict between a tax treaty and the Internal Revenue Code, the Internal Revenue Code takes precedence.
Question
Determine the incorrect citation:

A) TAM 20002704.
B) George W. Guill, 112 T.C. , No. 22 1999).
C) John H. Wong, T.C. Summary Opinion 2009-152.
D) Rev. Rul. 98-32, 1998-25 I.R.B. 4.
E) None of these.
Question
Federal tax legislation generally originates in what committee?

A) House Budget Committee.
B) Senate Finance Committee.
C) House Ways and Means Committee.
D) House Taxation Committee.
E) None of these.
Question
Which citation refers to a Second Circuit Court of Appeals decision?

A) 40 T.C. 1018.
B) 159 F. 2d 848 CA-2, 1947).
C) 354 F. Supp. 1003 D. Ct. Ga, 1972).
D) 914 F. 2d 396 CA-3, 1990).
E) None of these.
Question
Which statement is not true about this citation: Bonkowski v. Comm., 29 TCM 1645 1970), aff'd 458 F.2d 709 CA- 7, 1972), cert. den.?

A) The Supreme Court decided not to agree or disagree with the Seventh Court of Appeals.
B) The Seventh Court of Appeals disagreed with the Tax Court.
C) The Tax Court decision starts on page 1645.
D) The Seventh Court of Appeals decision appears in Vol. 458.
E) All of these.
Question
Which trial court's jurisdiction depends on the geographical location of the taxpayer?

A) U.S. Tax Court.
B) U.S. District Court.
C) U.S. Court of Federal Claims.
D) Small Cases Division of the Tax Court.
E) None of these.
Question
Which trial court decision is generally less authoritative?

A) U.S. District Court.
B) U.S. Tax Court.
C) U.S. Court of Federal Claims.
D) Small Cases Division of the Tax Court.
E) All of these have the same authority.
Question
A landlord leases property upon which the tenant makes improvements. The improvements are significant and are not made in lieu of rent. At the end of the lease, the value of the improvements is not income to the landlord. This rule is an example of:

A) The wherewithal to pay concept.
B) The tax benefit rule.
C) The arm's length concept.
D) A clear reflection of income result.
E) None of these.
Question
A decision in which of the following courts carries the lowest tax authority?

A) U.S. Court of Appeals for the Federal Circuit.
B) U.S. Court of Appeals for the Second Circuit.
C) U.S. District Court.
D) U.S. Supreme Court.
E) U.S. Court of Appeals Federal Circuit.
Question
A Memorandum decision of the U.S. Tax Court could be cited as:

A) T.C. Memo. 1990-650.
B) 68-1 USTC ¶ 9200.
C) 37 AFTR 2d 456.
D) All of these.
E) None of these.
Question
In Forty-Four Cigar Co., 2 B.T.A. 1156, the 1156 stands for:

A) The volume number.
B) The year of the decision.
C) The paragraph number.
D) The page number.
E) None of these.
Question
If these citations appeared after a trial court decision, which one means that the decision was viewed favorably?

A) Aff'd 633 F. 2d 512 CA-7, 1980).
B) Rem'd 399 F. 2d 800 CA-5, 1968).
C) Rev'd 914 F. 2d 396 CA-3, 1990).
D) Rev'd 935 F. 2d 203 CA-5, 1991).
E) None of these.
Question
Which state is located in the jurisdiction of the Fifth Circuit Court of Appeals?

A) Louisiana.
B) California.
C) New York.
D) South Carolina.
E) None of these.
Question
Which of the following refers to a trial court rather than an appellate court decision?

A) Forgeus v. Comm., 6 B.T.A. 291 1927).
B) Farris v. Comm., 222 F.2d 320 CA-10, 1955).
C) Danville Plywood Corp., 899 F.2d 3 Fed Cir. 1990).
D) Boehm v. Comm., 326 U.S. 287 1945).
E) None of these.
Question
Which citation refers to a U.S. Court of Federal Claims decision?

A) Apollo Computer, Inc. v. U.S., 95-1 USTC ¶ 50,015 Fed. Cl., 1994).
B) Westreco, Inc., T.C. Memo. 1992-561 1992).
C) Bausch & Lomb, Inc. v. Comm., 933 F. 2d 1084 CA-2, 1991).
D) Portland Manufacturing Co. v. Comm., 35 AFTR 2d 1439 CA-9, 1975).
E) None of these.
Question
Which of the following is an administrative source of tax law?

A) Rev. Rul. 2010-19.
B) Joint Conference Committee Report.
C) Section 12a) of the Internal Revenue Code.
D) All of these..
E) None of these.
Question
Which citation refers to a Fourth Circuit Court of Appeals decision?

A) 40 T.C. 1018.
B) 2 TCM 205 1951).
C) 354 F.Supp. 1003 D. Ct. Ga, 1972).
D) 914 F.2d 396 CA-3, 1990).
E) None of these.
Question
Which court decision is generally more authoritative?

A) A U.S. Tax Court decision.
B) A U.S. Court of Federal Claims decision.
C) A U.S. District Court decision.
D) A U.S. Court of Appeals decision.
E) A U.S. Tax Court Memorandum decision.
Question
Interpret the following citation: 64-1 USTC ¶ 9618, aff'd in 344 F. 2d 966.

A) A U.S. Tax Court Small Cases Division decision that was affirmed on appeal.
B) A U.S. Tax Court decision that was affirmed on appeal.
C) A U.S. District Court decision that was affirmed on appeal.
D) A U.S. Court of Appeals decision that was affirmed on appeal.
E) None of these.
Question
Which of the following statements about an acquiescence is correct?

A) An acquiescence is issued in the Federal Register.
B) Acquiescences are published only for certain regular decisions of the U.S. Tax Court.
C) An acquiescence is published in the Internal Revenue Bulletin.
D) The IRS does not issue acquiescences to adverse decisions that are not appealed.
E) All of these are correct.
Question
Which of these notations would appear after a U.S. Tax Court citation if the IRS disagrees with the decision?

A) Rev'd 935 F.2d 203 1991).
B) Nonacq. 1979-1 C.B. 1.
C) Cert. den. 361 U.S. 875 1959).
D) Acq. 1990-1 C.B. 2.
E) None of these.
Question
Which is a primary source of tax law?

A) J.W. Yarbo v. Comm., 737 F. 2d 479 CA-5, 1984).
B) Article by a Federal judge in Harvard Law Review.
C) IRS Determination letter.
D) IRS Letter ruling.
E) All of these are primary sources.
Question
Which trial court normally has 16 judges?

A) U.S. Tax Court.
B) U.S. Court of Federal Claims.
C) U.S. Supreme Court.
D) U.S. Court of Appeals.
E) None of these.
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Deck 1: Understanding and Working With the Federal Tax Law
1
The Internal Revenue Code is a compilation of Federal tax legislation that appears in Title 26 of the United States Code.
True
2
The favorable treatment of research and development expenses is one means of controlling the economy.
False
3
Proposed Regulations have the force and effect of law.
False
4
These Internal Revenue Code citations are incorrect: § 2121) and § 12211).
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5
Although a corporation is subject to a Federal income tax, a partnership is not.
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6
The Federal income tax law allows a taxpayer to claim a deduction for state and local income taxes but limits all state taxes to a maximum of $10,000.
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7
Alabama and South Carolina are community property states.
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8
The encouragement of private-sector pension plans can be justified under the encouragement of certain industries.
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9
A tax bill cannot originate in the Senate Finance Committee.
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10
One of the justifications for the enactment of the tax law governing corporate reorganizations was the economic benefit it would provide businesses including making them more efficient).
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11
The U.S. Federal government has a provision in the Constitution that precludes deficit spending.
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12
Temporary Regulations have the same authoritative value as Final Regulations for four years.
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13
Internal Revenue Code § 6 involves gross income and § 7 outlines itemized deductions.
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14
One Internal Revenue Code section enables shareholders in a small business corporation to obtain an ordinary deduction for any loss recognized on a stock investment.
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15
Longer class lives for depreciable property and the required use of the straight-line method of depreciation would likely dampen the tax incentive for purchasing capital assets.
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16
Revenue-neutral tax laws reduce deficits.
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17
Taxpayers may read Committee Reports to determine the intent of Congress.
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18
Subchapter P refers to the subchapter in the Internal Revenue Code that deals with partners and partnerships.
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19
Many states have balanced budgets because laws or constitutional amendments preclude deficit spending.
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20
Regulations are arranged in a different sequence than the Internal Revenue Code.
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21
A taxpayer must pay any tax deficiency assessed by the IRS and sue for a refund to bring suit in the U.S. District Court.
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22
Appeals from the U.S. Court of Federal Claims go to the U.S. Supreme Court.
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23
A Revenue Ruling is a legislative source of Federal tax law.
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24
"Legislative" regulations carry more weight than "interpretative" regulations.
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25
The like-kind tax free exchange treatment is an example of the wherewithal to pay concept.
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26
Proposed Regulations are published in the Federal Register.
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27
Revenue Procedures deal with the internal management practices and procedures of the IRS.
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28
A change in the individual tax rate has an almost immediate impact on the economy.
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29
The U.S. national debt is around $11 trillion.
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30
A U.S. District Court must abide by the precedents set by the U.S. Court of Appeals of its jurisdiction.
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31
Treasury Decisions are issued by the Treasury Department to promulgate new Regulations.
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32
Determination letters usually involve proposed transactions.
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33
When there is a direct conflict between an Internal Revenue Code section and a treaty provision, the most recent item takes precedence.
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34
The Golsen rule no longer applies to the U.S. Tax Court.
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35
Regulations are issued by the Treasury Department.
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36
Revenue Rulings carry the same legal force and effect as Regulations.
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37
A jury trial is available when a case is heard by a U.S. Court of Appeals.
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38
In a U.S. District Court, a jury can decide both questions of fact and questions of law.
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39
Letter rulings are issued by the National Office of the IRS.
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40
Only one judge hears a trial in a U.S. District Court.
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41
The annual gift tax exclusion in 2019 is $15,000.
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42
Which provision could best be justified as encouraging small business?

A) Ordinary loss allowed on § 1244 stock.
B) Percentage depletion.
C) Charitable contributions deduction.
D) Interest deduction on home mortgage.
E) None of these.
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k this deck
43
Which provision is not justified by social considerations?

A) Refundable earned income credit.
B) Adoption tax credit.
C) Like-kind exchange treatment.
D) Disallowance of illegal kickbacks.
E) None of these.
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44
Which citation is considered to be a statutory legislative) citation?

A) Ltr. Rul. 199952058.
B) Ann. 94-5, 1994-2 I.R.B. 39.
C) Reg. § 1.1014-1c)1).
D) § 351.
E) None of these.
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45
Regulations are first published in:

A) Federal Register.
B) Cumulative Bulletin.
C) Internal Revenue Bulletin.
D) I.R.S. Digest.
E) All of these.
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46
Revenue Procedures are published in the:

A) Congressional Record.
B) Federal Revenue Bulletin.
C) Internal Revenue Bulletin.
D) I.R.S. Digest.
E) None of these.
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47
The taxation part of the CPA exam REG) is now one-third essay.
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48
Which of the following sources has the highest tax authority?

A) Treasury Regulation.
B) Revenue Procedure.
C) Internal Revenue Code.
D) Temporary Regulation.
E) All have the same weight.
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49
Which state is not a community property state?

A) Arizona.
B) Texas.
C) New Mexico.
D) Virginia.
E) None of these.
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k this deck
50
The Standard Federal Tax Reporter is published by Research Institute of America.
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51
Douglas and Sue, related parties, are landlord and tenant as to certain business property. If the IRS questions the amount of rent Sue is paying to Douglas, this is an illustration of the:

A) Arm's length concept.
B) Continuity of interest concept.
C) Tax benefit rule.
D) Substance over form concept.
E) None of these.
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k this deck
52
Internal Revenue Code Section 318, which deals with the definition of related parties with respect to stock redemptions, includes brothers and sisters in the related-party definition.
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k this deck
53
A Technical Advice Memorandum is issued by:

A) Treasury Department.
B) National Office of the IRS.
C) Office of Chief Council.
D) Area Director.
E) None of these.
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k this deck
54
Indexation of various income tax components was eliminated by the Tax Cuts and Jobs Act of 2017.
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k this deck
55
Regarding Technical Advice Memoranda, which statement is incorrect?

A) Issued by the National Office of IRS.
B) Most often deal with a completed transaction.
C) May be cited and used as precedent.
D) Issued with multi-digit file numbers.
E) None are incorrect.
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k this deck
56
Which provision could best be justified as a means of controlling the economy?

A) Write-off of research and development expenditures.
B) The § 179 immediate expensing of depreciable capital expenditures.
C) Amortization of pollution control facilities.
D) The rehabilitation tax credit.
E) None of these.
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k this deck
57
Complete avoidance of a capital gain tax occurs when the owner of appreciated property transfers it by death.
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k this deck
58
When there is a direct conflict between a tax treaty and the Internal Revenue Code, the Internal Revenue Code takes precedence.
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k this deck
59
Determine the incorrect citation:

A) TAM 20002704.
B) George W. Guill, 112 T.C. , No. 22 1999).
C) John H. Wong, T.C. Summary Opinion 2009-152.
D) Rev. Rul. 98-32, 1998-25 I.R.B. 4.
E) None of these.
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k this deck
60
Federal tax legislation generally originates in what committee?

A) House Budget Committee.
B) Senate Finance Committee.
C) House Ways and Means Committee.
D) House Taxation Committee.
E) None of these.
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k this deck
61
Which citation refers to a Second Circuit Court of Appeals decision?

A) 40 T.C. 1018.
B) 159 F. 2d 848 CA-2, 1947).
C) 354 F. Supp. 1003 D. Ct. Ga, 1972).
D) 914 F. 2d 396 CA-3, 1990).
E) None of these.
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62
Which statement is not true about this citation: Bonkowski v. Comm., 29 TCM 1645 1970), aff'd 458 F.2d 709 CA- 7, 1972), cert. den.?

A) The Supreme Court decided not to agree or disagree with the Seventh Court of Appeals.
B) The Seventh Court of Appeals disagreed with the Tax Court.
C) The Tax Court decision starts on page 1645.
D) The Seventh Court of Appeals decision appears in Vol. 458.
E) All of these.
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63
Which trial court's jurisdiction depends on the geographical location of the taxpayer?

A) U.S. Tax Court.
B) U.S. District Court.
C) U.S. Court of Federal Claims.
D) Small Cases Division of the Tax Court.
E) None of these.
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64
Which trial court decision is generally less authoritative?

A) U.S. District Court.
B) U.S. Tax Court.
C) U.S. Court of Federal Claims.
D) Small Cases Division of the Tax Court.
E) All of these have the same authority.
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k this deck
65
A landlord leases property upon which the tenant makes improvements. The improvements are significant and are not made in lieu of rent. At the end of the lease, the value of the improvements is not income to the landlord. This rule is an example of:

A) The wherewithal to pay concept.
B) The tax benefit rule.
C) The arm's length concept.
D) A clear reflection of income result.
E) None of these.
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k this deck
66
A decision in which of the following courts carries the lowest tax authority?

A) U.S. Court of Appeals for the Federal Circuit.
B) U.S. Court of Appeals for the Second Circuit.
C) U.S. District Court.
D) U.S. Supreme Court.
E) U.S. Court of Appeals Federal Circuit.
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67
A Memorandum decision of the U.S. Tax Court could be cited as:

A) T.C. Memo. 1990-650.
B) 68-1 USTC ¶ 9200.
C) 37 AFTR 2d 456.
D) All of these.
E) None of these.
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68
In Forty-Four Cigar Co., 2 B.T.A. 1156, the 1156 stands for:

A) The volume number.
B) The year of the decision.
C) The paragraph number.
D) The page number.
E) None of these.
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69
If these citations appeared after a trial court decision, which one means that the decision was viewed favorably?

A) Aff'd 633 F. 2d 512 CA-7, 1980).
B) Rem'd 399 F. 2d 800 CA-5, 1968).
C) Rev'd 914 F. 2d 396 CA-3, 1990).
D) Rev'd 935 F. 2d 203 CA-5, 1991).
E) None of these.
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70
Which state is located in the jurisdiction of the Fifth Circuit Court of Appeals?

A) Louisiana.
B) California.
C) New York.
D) South Carolina.
E) None of these.
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71
Which of the following refers to a trial court rather than an appellate court decision?

A) Forgeus v. Comm., 6 B.T.A. 291 1927).
B) Farris v. Comm., 222 F.2d 320 CA-10, 1955).
C) Danville Plywood Corp., 899 F.2d 3 Fed Cir. 1990).
D) Boehm v. Comm., 326 U.S. 287 1945).
E) None of these.
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72
Which citation refers to a U.S. Court of Federal Claims decision?

A) Apollo Computer, Inc. v. U.S., 95-1 USTC ¶ 50,015 Fed. Cl., 1994).
B) Westreco, Inc., T.C. Memo. 1992-561 1992).
C) Bausch & Lomb, Inc. v. Comm., 933 F. 2d 1084 CA-2, 1991).
D) Portland Manufacturing Co. v. Comm., 35 AFTR 2d 1439 CA-9, 1975).
E) None of these.
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73
Which of the following is an administrative source of tax law?

A) Rev. Rul. 2010-19.
B) Joint Conference Committee Report.
C) Section 12a) of the Internal Revenue Code.
D) All of these..
E) None of these.
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74
Which citation refers to a Fourth Circuit Court of Appeals decision?

A) 40 T.C. 1018.
B) 2 TCM 205 1951).
C) 354 F.Supp. 1003 D. Ct. Ga, 1972).
D) 914 F.2d 396 CA-3, 1990).
E) None of these.
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75
Which court decision is generally more authoritative?

A) A U.S. Tax Court decision.
B) A U.S. Court of Federal Claims decision.
C) A U.S. District Court decision.
D) A U.S. Court of Appeals decision.
E) A U.S. Tax Court Memorandum decision.
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76
Interpret the following citation: 64-1 USTC ¶ 9618, aff'd in 344 F. 2d 966.

A) A U.S. Tax Court Small Cases Division decision that was affirmed on appeal.
B) A U.S. Tax Court decision that was affirmed on appeal.
C) A U.S. District Court decision that was affirmed on appeal.
D) A U.S. Court of Appeals decision that was affirmed on appeal.
E) None of these.
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77
Which of the following statements about an acquiescence is correct?

A) An acquiescence is issued in the Federal Register.
B) Acquiescences are published only for certain regular decisions of the U.S. Tax Court.
C) An acquiescence is published in the Internal Revenue Bulletin.
D) The IRS does not issue acquiescences to adverse decisions that are not appealed.
E) All of these are correct.
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78
Which of these notations would appear after a U.S. Tax Court citation if the IRS disagrees with the decision?

A) Rev'd 935 F.2d 203 1991).
B) Nonacq. 1979-1 C.B. 1.
C) Cert. den. 361 U.S. 875 1959).
D) Acq. 1990-1 C.B. 2.
E) None of these.
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79
Which is a primary source of tax law?

A) J.W. Yarbo v. Comm., 737 F. 2d 479 CA-5, 1984).
B) Article by a Federal judge in Harvard Law Review.
C) IRS Determination letter.
D) IRS Letter ruling.
E) All of these are primary sources.
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80
Which trial court normally has 16 judges?

A) U.S. Tax Court.
B) U.S. Court of Federal Claims.
C) U.S. Supreme Court.
D) U.S. Court of Appeals.
E) None of these.
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