So you've admitted you were half wrong. That's good.imua wrote:So many lame responses to reply to. Where to begin.
First of all, MY BAD. There are a lot of regulations that cite these requirements.
I have a suggestion, though. When you start to start to pontificate about how right you are, you might want to check to see that you really *are* right, because you're not going to have much credibility if you have to go back repeatedly to explain why what you had written so patronizingly was a mistake.
So?imua wrote:Unfortunately, these regulations are not legislative,
What about section 6151?imua wrote: and the fact still remains that no STATUTES make any liable to pay income taxes.
Are you claiming that the "parallel table" is a "legislative regulation" and therefore has the "force of law"?imua wrote: Read on...
1. Regarding 26 USC Sec 6331, please cross reference the parallel table of regulations and you will find that this applies to the CFR 27, Alcohol, Tobacco and Firearms ONLY.
If not, how can you ignore the actual words of section 6331 and the regulations for section 6331 which appear in Title 26 of the Code of Federal Regulations?
That's not what is meant by a "legislative regulation." In fact, it's not even close.imua wrote: And when quoting regulations, PLEASE make sure that these regulations are LEGISLATIVE, meaning they are backed by a STATUTE.
That's not true, as others have already pointed out.imua wrote: Otherwise, they are INTERPETIVE OR PROCEDURAL REGULATIONS, and have NO FORCE AND EFFECT OF LAW.
No one forgot to do anything. As pointed out above, regulations for section 6331 appear in 26 CFR along with other income tax regulations.imua wrote:By the way, the "overlap" garbage regarding how Congress can do whatever they want is LAUGHABLE. So you're saying they DO apply to income taxes but someone forgot to link that statute to income tax regulations?
Which is both wrong and irrelevant. The only reason I quoted the regulation is that *YOU* asked for it.imua wrote:Thanks for the reference to Treas. Reg. § 1.1-1(b), but please refer to regulations that are legislative. Or try referring to a statute. Otherwise, they are INTERPETIVE OR PROCEDURAL REGULATIONS, and have NO FORCE AND EFFECT OF LAW.
And why do you keep ignoring section 6151 and the Supreme Court case which held that the imposition of a tax also creates a legal obligation (which is the dictionary meaning of "impose" by the way).
Actually, section 2002 doesn't use the word "liable," but simply says that the estate tax "shall be paid by the executor."imua wrote:3. Funny. There is a tax imposed on estate taxes (Sec 2001). But in the next section (2002), it tells you who's liable for the tax. Now, if the imposition of the tax were enough to make you liable, why the heck is there another section telling you who is liable?
And section 6151 says that, when a person is required to file a return (see section 6012), that person "shall pay" the tax.
If section 2002 imposes a liability, then section 6151 does also.
Which means its time for you to admit you made another mistake.
Yes, if they apply to you.imua wrote:There are excise taxes and alcohol taxes and estate taxes and other taxes. They are all imposed. Does it mean I have to automatically pay them all?
That's a non-reply.imua wrote:4. Thanks for the MYRIAD of Supreme Court decisions. You should tell IRS.GOV to cite some as well once and a while.
And whether or not you reply, the cases are still there, and they still contradict you, even though you choose to ignore them. (Just like section 6151 is still there even though you choose to ignore it.)
Name one. Provide one Supreme Court decision and one Circuit Court decision that conflict with each other.imua wrote:5. Regarding conflict of Supreme Court decisions with circuit court decisions, of course they do.