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Individuals with a net Section 1256 contract loss can elect to carry it back three years (instead of being carried forward to the following year), starting with the earliest year, but only to a year in which there is a net Section 1256 contracts gain, and only up to the extent of such gain (the carrying back cannot produce a net operating loss ...
Under U.S. Federal income tax law, a net operating loss (NOL) occurs when certain tax-deductible expenses exceed taxable revenues for a taxable year. [1] If a taxpayer is taxed during profitable periods without receiving any tax relief (e.g., a refund) during periods of NOLs, an unbalanced tax burden results. [ 2 ]
The net income attributable (NIA), is a concept in the Internal Revenue Code for calculating the net gain or loss generated by an excess individual retirement account (IRA) contribution or the net gain or loss for the purposes of a Roth IRA conversion or recharacterization.
If the balance of the retained earnings account is negative it may be called accumulated losses, retained losses, accumulated deficit, or similar terminology. Any part of a credit balance in the account can be capitalised, by the issue of bonus shares , and the balance is available for distribution of dividends to shareholders , and the residue ...
A dealer equity option is any equity option listed on a qualified board of exchange, that is bought or granted by an options dealer (any person registered with an appropriate national securities exchange as a market maker or specialist in listed options).
For my fellow Democrats, the stages of electoral grief have begun. First, the pulverizing shock. Then, the deep confusion. Finally, the burning questions, spreading across cable news green rooms ...
Super PACs, dark money, outside spending -- keeping it all straight can be tough, especially with the seemingly constant barrage of political attack ads in the background. Holiday Spending: Get Top...
A 988 transaction is a transaction described in section 988(c)(1) of the Internal Revenue Code [1] in the United States of America.This transaction occurs when a taxpayer enters into or acquires any debt instrument, forward contract, futures contract, option, or similar financial instrument held in a non-functional currency. [1]