By Robert Milne
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Additional info for A theory of programming language semantics, part A
Therefore, certain provisions of the tax law can be explained on the basis of the political climate at the time of enactment. Once the general public became aware that certain large and profitable corporations were able to avoid the corporate income tax, Congress responded with an alternative minimum tax. Since a portion of a corporation’s adjusted current earnings has been made a tax preference item, many large corporations no longer escape taxation (see Chapter 3). Measures that deter more affluent taxpayers from obtaining so-called preferential tax treatment have always had popular appeal and, consequently, the support of Congress.
The net operating loss procedure offers Samuel some relief by allowing him to apply some or all of his 2012 loss to the earliest profitable years (in this 20 The exchange of stock does not qualify for nontaxable treatment as a like-kind exchange (refer to Example 3). 21 This continuation is known as the continuity of interest concept, which forms the foundation for all nontaxable corporate reorganizations. The concept is discussed at length in Chapter 7. Copyright 2012 Cengage Learning. All Rights Reserved.
The adoption tax credit to cover some (or all) of the expenses incurred by individuals who adopt or attempt to adopt a child. Many other examples could be included, but the conclusion would be unchanged: social considerations do explain a significant part of the Federal tax law. Equity Considerations The concept of equity is relative. Reasonable persons can, and often do, disagree about what is fair or unfair. In the tax area, moreover, equity is generally tied to a particular taxpayer’s personal situation.
A theory of programming language semantics, part A by Robert Milne