The rules? Still trying to convince yourself that that the Delaware corporation law determines the definition of "foreign corporation" for FEDERAL TAX PURPOSES???stija wrote:And as far as my Delaware corporate law.....
Verizon is inc in Delaware. See how much federal taxes they pay.
Pfizer is inc in Delaware. See how much federal taxes they pay.
Google is inc in Delaware. See how much federal taxes they pay.
Apple is inc in Delaware. See how much federal taxes they pay.
I can keep going, but what's the purpose right. You won't believe it if it hit you in the face. Maybe if someone can show how they filed - foreign or domestic
As far as SCOTUS case law why corporate law dictates the character of the corporation, there is plentyyyy out there.
You are the only ones missing out guys. Check their tax record. Verizon makes billions and gets federal income refunds
It just goes to show you who writes these laws, behind the scenes albeit.
I'm out quatlosers. You can't play the game of income taxes without learning the rules first. Playing with you was like playing ball with a retarded kid who THINKS he knows the rules.
Yeah, Stija, if I were you, I'd skee-daddle, too!
Everybody, read the other thread, where Stija illustrates his keen knowledge of the basics of "excises" by citing Sims v. Ahrens for principles of Federal excises when the case is an Arkansas court case interpreting Arkansas law -- and then when told that it's an Arkansas case, claims that it's OK because the principles of excise law are "the same". Of course, in Sims v. Ahrens, the court stated exactly the OPPOSITE OF the FEDERAL RULE regarding excises. The federal rule is that activities as of "common right" may be the subject of a Federal excise, whereas the Arkansas court stated that Arkansas CANNOT tax activites in connection with a "common right."
DUUUUUUHHHHHHHHHHH.......