Sam Graves - U.S. Representative, Missouri, District 6
Date Item Title Author
Monday, 28 May 2001 Letter to Mr. Graves - May 29, 2001 Peter McCandless
Thursday, 21 June 2001 Response from Mr. Graves - June 22, 2001 Peter McCandless
Wednesday, 11 July 2001 Letter to Mr. Graves - July 12, 2001 Peter McCandless
Wednesday, 12 December 2001 Letter to Mr. Graves - December 13, 2001 Peter McCandless
Thursday, 05 June 2003 Letter to Mr. Graves - June 6, 2003 Peter McCandless
 
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  • Michael P. Dreiling, Attorney  ( 4 items )
    I sent the three "Questions regarding the proper application of the Federal Income Tax" to an attorney named Michael P. Dreiling. I paid him over $180.00 to answer the three questions. His response follows. Notice that he states in his response to question one that one may use 26 USC 861 and the related regulations to determine one's taxable income from sources within the United States. But in the last sentence of the paragraph following his answers, he writes: "Subchapter N is the IRC chapter pertaining to international taxation." This implies, but doesn't directly state, that one should not be using Subchapter N unless one has international income. If this is what he meant to imply then he directly contradicted himself. Subchapter N contains 861! When I wrote to him and tried to reach him by phone to ask to him to explain his apparent contradiction, I did not hear back from him, either by phone or by letter in a timely fashion. Almost two years later, he did send me a written response, which I am now posting.
  • Pam Olson - USDOJ Assistant Secretary (Tax Policy)  ( 2 items )

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