The Federal ReporterWest Publishing Company, 1956 |
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Halaman 34
the income payments made in 1947 . How can it be said that the payment by Universal Winding Co. to Mrs. Reece of $ 13,259.55 in 1947 , income which since December 26 , 1935 , he had no power to command , constituted 1947 income to the ...
the income payments made in 1947 . How can it be said that the payment by Universal Winding Co. to Mrs. Reece of $ 13,259.55 in 1947 , income which since December 26 , 1935 , he had no power to command , constituted 1947 income to the ...
Halaman 896
... income from property held in trust shall be taxable to the income benefici- aries of the trust if it " is to be distribut- ed currently " by the fiduciary to such beneficiaries , " whether distributed to them or not . " 5 The statute ...
... income from property held in trust shall be taxable to the income benefici- aries of the trust if it " is to be distribut- ed currently " by the fiduciary to such beneficiaries , " whether distributed to them or not . " 5 The statute ...
Halaman 1010
... income taxes record disclosed that the Commissioner properly resorted to the net- worth method of determining income taxes.— Hurley v . C.I.R. , 233 F.2d 177 . C.A.6 . Where Internal Revenue Commis- sioner could find no books or records ...
... income taxes record disclosed that the Commissioner properly resorted to the net- worth method of determining income taxes.— Hurley v . C.I.R. , 233 F.2d 177 . C.A.6 . Where Internal Revenue Commis- sioner could find no books or records ...
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9 Cir action affirmed agreement alleged amended amount appellant appellant's appellee application arbitration Board carrier cause certiorari charge Chief Judge Circuit Judge Cite as 233 claim Commissioner complaint conspiracy contract corporation counsel Court of Appeals damages decision defendant defendant's denied dismissed District Court District Judge employees evidence excess profits tax F.Supp fact fendant filed habeas corpus held income injunction interference proceeding Internal Revenue invention issue judgment jurisdiction L.Ed Labor Relations lease liability ment motion negligence Norris-LaGuardia Act operation opinion parties patent payment petition petitioner picket plaintiff prior prior art proceeding prosecution Puerto Rico question railroad reason record reduction to practice rule S.Ct Section sion Stat statute suit summary judgment supra Supreme Court Tax Court taxpayer testified testimony tion trade-mark trial court U. S. Atty Union United States Court United States District witness York