{主关键词}

A | WASHINGTON -- Charles and Kathleen Moore are about to have their day in the Supreme Court over a $15,000 tax bill they contend is unconstitutional.The couple from Redmond, Washington, claim they had to pay the money because of their investment in an Indian company from which, as Charles Moore, 62, said in a sworn statement, they “have never received a distribution, dividend, or other payment.”But significant parts of the story they have told to reach this point seem at odds with public records.The Moores are the public face of a high court case backed by business and conservative political interests that could call into question other parts of the U.S. tax code and rule out a much-discussed but never-enacted tax on wealth. The case is set for arguments on Dec. 5. The Moores are the latest example of plaintiffs whose lawsuits seem to simply be exercising their legal rights, but whose cases are backed by others with enormous amounts of money or a consequential social issue at stake. The Moores sought help from the anti-regulatory Competitive Enterprise Institute.Underscoring the case's importance at a recent Heritage Foundation event, lawyer Paul Clement said, "The constitutionality of a wealth tax may well be decided in the context of this case.”Details of the Moores' involvement with the company, initially called KisanKraft Machine Tools Private Limited, were first reported by Tax Notes, which caters to tax professionals. The public documents are filings with the Indian government.At issue in the case is a provision of the 2017 tax bill enacted by a Republican-controlled Congress and signed by then-President Donald Trump. The law applies to companies that are owned by Americans, but do their business in foreign countries. It imposes a one-time tax on investors' shares of profits that have not been passed along to them, in order to offset other tax benefits. The measure is expected to generate $340 billion in tax revenues.The Moores, along with the U.S. Chamber of Commerce and conservative think tanks, contend that the provision violates the 16th Amendment, which allows the federal government to impose an income tax on Americans.The $15,000 tax bill was for the Moores' share of KisanKraft's profits."If you haven’t received any income, how can you be required to pay income taxes?” Charles Moore asks in a video posted by the Competitive Enterprise Institute.But far from being a passive investor with no influence over the company, Moore, who worked at Microsoft during his career in software development, served on KisanKraft's board of directors for five years.“The story the Moores told about Charles' involvement with KisanKraft is directly at odds with the fiduciary responsibilities of an individual holding a board seat for an Indian company,” Mindy Herzfeld, a professor of tax practice at the University of Florida law school, wrote in Tax Notes.And there are other indications of Moore's more extensive involvement with KisanKraft than his testimony indicated. The company paid for his travel to India four times and he made at least two investments beyond the $40,000 stake he put up in 2006.Moore also was prepared to invest an another roughly $250,000. That money was ultimately returned by KisanKraft, along with 12% interest.One other inconsistency is that while the Moores say they jointly invested the money, only Charles Moore's name appears in company documents.The couple and their lawyers did not disclose any of that information in legal filings in three different federal courts, including the Supreme Court.“The original declaration on which the case is built is full of lies,” said Reuven Avi-Yonah, an international tax expert at the University of Michigan law school.In a brief conversation with The Associated Press, Kathleen Moore said she and her husband would not discuss the case and referred questions to their lawyers. Andrew Grossman, the Moore's lead attorney, did not respond to messages seeking comment.The omissions, along with the Moores' failure to take advantage of other legal options that would have deferred, if not eliminated, their tax liability make Avi-Yonah and other experts in international tax law suspect the case was manufactured to get at a larger issue, the tax on billionaires that has been proposed by some prominent Democrats but never enacted.A wealth tax would apply not to the incomes of the very richest Americans, but their assets, like stock holdings, that now only get taxed when they are sold. “There really was no reason for the court to take it on, other than to send a signal to warn off the Congress from passing a billionaire tax," said Steven Rosenthal, a senior fellow at the Urban-Brookings Tax Policy Center.Other provisions of the tax code could be upended by the court's decision, including measures relating to partnerships, limited liability companies and other business formations, Rosenthal said.Changes to those provisions also could affect some justices' finances. Chief Justice John Roberts holds a one-eighth interest worth up to $15,000 in an Irish partnership that owns a cottage in county Limerick, Ireland, and Justice Clarence Thomas' wife, Ginni, owns a limited liability company that generated between $50,000 and $100,000 in income last year from Nebraska real estate, according to the justices' financial disclosure forms. Two other recent Supreme Court cases advanced by conservative interests also raised questions about whether facts had been manipulated to get the disputes in front of the court. One of those involved a wedding website designer in Colorado who did not want to work with same-sex couples and a public high school football coach in Washington who wanted to pray on the field.Rosenthal said that “the ugly facts matter” and that the justices could return the Moores' case to a lower court without ruling on it.Charles Moore said in his sworn statement that he agreed to invest in the company that was being formed by his friend and former colleague at Microsoft, Ravindra “Ravi” Kumar Agrawal, because he liked the business plan and trusted his friend.“Moreover, I thought KisanKraft was formed for a noble purpose and had the potential to improve the lives of small and marginal farmers in India,” Moore said. The case had already kicked up ethical questions. Senate Democrats had asked Justice Samuel Alito to step aside from the case because of his interactions with David Rivkin, another lawyer who also is representing the Moores. The Democrats said Alito had cast doubt on his ability to judge the case fairly because he sat for four hours of Wall Street Journal opinion page interviews with an editor at the newspaper and Rivkin.Alito rejected the demands in a four-page statement issued by the court in which he said there “is no valid reason” for his recusal. ___Associated Press writer Fatima Hussein contributed to this report.___This story has been corrected to reflect that Mindy Herzfeld is a professor of tax practice at the University of Florida law school, not director of the master's program in international tax.。

B | 本场7号赢得太惊险了,决胜局被咬住到9平,关键时刻连续发球得分拿下比赛。

C | 安东·卡尔伯格现年28岁世排第36位,本场把周启豪逼退到了悬崖边,给国乒球迷们惊出冷汗。温瑞博不敌瑞典老将伊莱亚斯·兰弗利,双方历史首次交锋,兰弗利目前世界排名第64位。温瑞博的状态并不好,男双携手林诗栋就打得特别别扭,总是关键球掉链子。

D | 回到个人单打项目,温瑞博的节奏并没有好转,关键分出手一言难尽,看起来技术上存在明显问题。【其他战况】约纳坦·格罗特 3-2 林昀儒【11-8,5-11,11-4,2-11,11-9】 松岛辉空 3-2 冯翊新【13-11,5-11,11-4,2-11,11-6】张本智和 3-0 宇田幸矢【11-5,11-9,11-5】 奥恰洛夫 3-0 吴晙诚【11-5,11-7,11-6】 小勒布伦 3-0 朴康贤【11-9,11-8,11-5】 户上隼辅 3-0 克里斯蒂安·卡尔森【11-9,11-6,11-6】 托米斯拉夫·普卡 3-0 张禹珍【11-8,11-8,11-6】 中国台北队遭遇重大打击,林昀儒、冯翊新双双苦战五局失利。此外,此前出战的郭冠宏也是苦战五局不敌安德斯·林德,中国台北队在本轮遭遇三场2-3,至此全军覆没。张本智和延续横滨冠军赛的良好状态,连续横扫对手过关,本轮淘汰国家队队友宇田幸矢。户上隼辅状态神勇,直落三局横扫东道主名将卡尔森。松岛辉空击败冯翊新,也晋级男单16强。奥恰洛夫的个人状态非常出色,首轮零封卫冕冠军+头号种子莫雷加德,本轮又横扫横滨冠军赛的男单亚军吴晙诚,这位德国老将呈现出“老当益壮”。法国名将小勒布伦也发挥出色,直落三局横扫韩国名将朴康贤,非常顺利取得晋级资格。此外,韩国名将张禹珍不敌克罗地亚名将普卡,遭遇完败出局,同时韩国队也遭遇全军覆没。【1/8决赛】奥恰洛夫 VS 达科·约奇克奥玛·阿萨尔 VS 约纳坦·格罗特小勒布伦 VS 迪博·泊雷特安德斯·林德 VS 雨果林诗栋 VS 大勒布伦户上隼辅 VS 张本智和普卡 VS 伊莱亚斯·兰弗利周启豪 VS 松岛辉空男单16强选手全部出炉,国乒选手林诗栋、周启豪获胜晋级,向鹏、温瑞博双双止步32强。1/8决赛林诗栋对阵大勒布伦,周启豪对阵松岛辉空,这两场对于国乒来说都比较凶险。日本队全部集中到下半区,共有3人取得晋级。1/8决赛户上隼辅与张本智和对决,那么日本队提前锁定1个八强席位,而国乒向鹏未能与林诗栋实现会师。1/8决赛还有1场中日对决,周启豪与松岛辉空在横滨冠军赛刚打过1场,当时周启豪1-3不敌对手。此外,法国勒布伦兄弟+迪博·泊雷特3人晋级,其中小勒布伦与迪博·泊雷特实现会师,那么法国队也提前锁定1个八强席位。

E |
Current article:http://voyea93.gamajionghuanmuniuzhuanguchu.cyou/news/pic.html
Published on:17:38:19
我的网站热门国内