EFTA00885308Set 9
2009-09-123p1,144w
specific sessions of sex." Ante at 1133-1134. I respectfully disagree. In
Commissioner v. Duberstein, 363 U.S. 278, 80 S.Ct. 1190, 4 L.Ed.2d 1218 (1960), the font ... S.Ct. 61, 65, 82 L.Ed. 32 (1937)). After reading Duberstein, a
reasonable taxpayer would conclude that payments from a lover were taxable as income if they were made "in
return ... monies she received from Kritzik. Whether Harris had such a duty is, under Duberstein, a question of
EFTA00885308
Kritzik's intent, a question whose answer can be found only upon
https://www.justice.gov/epstein/files/DataSet%209/EFTA00885308.pdf
EFTA02409650Set 11
2009-09-123p983w
specific sessions of sex." Ante at 1133-1134. I respectfully disagree. In
Commissioner v. Duberstein, 363 U.S. 278, 80 S.Ct. 1190, 4 L.Ed.2d 1218 (1960), the font ... S.Ct. 61, 65, 82 L.Ed. 32 (1937)).
After reading Duberstein, a reasonable taxpayer would conclude that payments from a lover were
taxable as income if they were made "in return ... monies she received from Kritzik.
Whether Harris had such a duty is, under Duberstein, a question of Kritzik's intent, a question
whose answer can be found only upon analysis
https://www.justice.gov/epstein/files/DataSet%2011/EFTA02409650.pdf
EFTA00739540Set 9
2009-09-122p981w
specific sessions of sex." Ante at 1133-1134. I respectfully disagree. In Commissioner v.
Duberstein, 363 U.S. 278, 80 S.Ct. 1190, 4 L.Ed.2d 1218 (1960), the font ... S.Ct. 61, 65, 82 L.Ed. 32 (1937)). After reading Duberstein, a reasonable taxpayer would
conclude that payments from a lover were taxable as income if they were made "in return ... monies she
received from Kritzik. Whether Harris had such a duty is, under Duberstein, a question of Kritzik's intent, a
question whose answer can be found only upon analysis
https://www.justice.gov/epstein/files/DataSet%209/EFTA00739540.pdf
EFTA00739538Set 9
2009-09-122p959w
specific sessions of sex." Ante at 1133-1134. I respectfully disagree. In Commissioner v.
Duberstein, 363 U.S. 278, 80 S.Ct. 1190, 4 L.Ed.2d 1218 (1960), the font ... S.Ct. 61, 65, 82 L.Ed. 32 (1937)). After reading Duberstein, a reasonable taxpayer would
conclude that payments from a lover were taxable as income if they were made "in return ... monies she
received from Kritzik. Whether Harris had such a duty is, under Duberstein, a question of Kritzik's intent, a
question whose answer can be found only upon analysis
https://www.justice.gov/epstein/files/DataSet%209/EFTA00739538.pdf
EFTA00739542Set 9
2009-09-123p1,144w
specific sessions of sex." Ante at 1133-1134. I respectfully disagree. In
Commissioner v. Duberstein, 363 U.S. 278, 80 S.Ct. 1190, 4 L.Ed.2d 1218 (1960), the font ... S.Ct. 61, 65, 82 L.Ed. 32 (1937)). After reading Duberstein, a
reasonable taxpayer would conclude that payments from a lover were taxable as income if they were made "in
return ... monies she received from Kritzik. Whether Harris had such a duty is, under Duberstein, a question of
EFTA00739542
Kritzik's intent, a question whose answer can be found only upon
https://www.justice.gov/epstein/files/DataSet%209/EFTA00739542.pdf
EFTA00885306Set 9
2009-09-122p959w
specific sessions of sex." Ante at 1133-1134. I respectfully disagree. In Commissioner v.
Duberstein, 363 U.S. 278, 80 S.Ct. 1190, 4 L.Ed.2d 1218 (1960), the font ... S.Ct. 61, 65, 82 L.Ed. 32 (1937)). After reading Duberstein, a reasonable taxpayer would
conclude that payments from a lover were taxable as income if they were made "in return ... monies she
received from Kritzik. Whether Harris had such a duty is, under Duberstein, a question of Kritzik's intent, a
question whose answer can be found only upon analysis
https://www.justice.gov/epstein/files/DataSet%209/EFTA00885306.pdf
EFTA01082667Set 9
2008-09-058p1,876w
C.Dobell Parliamentary Centre Ottawa, Ontario
Wendy K Dobson University of Toronto Toronto
Kenneth M. Duberstein The Duberstein Group Washington, M.
Robert Eckert Mattel, Inc. El Segundo, Calif.
Jessica P. Einhorn
https://www.justice.gov/epstein/files/DataSet%209/EFTA01082667.pdf
EFTA02450724Set 11
2018-04-303p917w
Dobell Parliamentary Centre Ottawa, Ontario
Wendy K Dobson University of Toronto Toronto
Kenneth M. Duberstein The Duberstein Group Washington, D.C.
Robert Eckert Mattel, Inc. El Segundo, Calif.
Jessica P. Einhorn
https://www.justice.gov/epstein/files/DataSet%2011/EFTA02450724.pdf
EFTA02420594Set 11
2010-09-163p872w
benefit of
an employee are considered additional compensation, not gifts. (See, e.g. , M
Duberstein, 363 U.S. 278).Thus, if an employer pays the ordinary education
expenses of or on behalf
https://www.justice.gov/epstein/files/DataSet%2011/EFTA02420594.pdf