The Federal ReporterWest Publishing Company, 1931 |
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Halaman 59
... period than the number of weeks set forth in the follow- ( 2 weeks ) to the latter period , the figures in this case stand as follows : 312 weeks plus 2 weeks equal 314 weeks . This figure of 314 weeks now includes disability of both ...
... period than the number of weeks set forth in the follow- ( 2 weeks ) to the latter period , the figures in this case stand as follows : 312 weeks plus 2 weeks equal 314 weeks . This figure of 314 weeks now includes disability of both ...
Halaman 433
... period January 1 , 1918 , to June 30 , 1918 . 19. In his final decision in respect of plaintiff's tax liability for the taxable periods January 1 , 1918 , to June 30 , 1918 , and July 1 , 1918 , to June 30 , 1919 , the commissioner ...
... period January 1 , 1918 , to June 30 , 1918 . 19. In his final decision in respect of plaintiff's tax liability for the taxable periods January 1 , 1918 , to June 30 , 1918 , and July 1 , 1918 , to June 30 , 1919 , the commissioner ...
Halaman 434
... period or year for which the return should have been filed and the tax paid , and that any overpayment should be refunded or credited against any tax due for another taxable pe- riod in the usual and ordinary manner ex- pressly provided ...
... period or year for which the return should have been filed and the tax paid , and that any overpayment should be refunded or credited against any tax due for another taxable pe- riod in the usual and ordinary manner ex- pressly provided ...
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28 USCA action affirmed alleged amended amount Andrew Roth appellant appellant's appellee application assessment attorney award bentonite bill Board charge Circuit Court Circuit Judge claimant claims coal Commissioner of Internal Company compensation contract corporation counsel Court of Appeals creditors Cust damages decision decree defendant disability discharge dismissed District Court District Judge employee entitled equity evidence fact filed held income indictment Internal Revenue invention issue John Tiger judgment jurisdiction jury Kevin Moran lant's liability libelant lien Lumber March 16 ment Montevallo mortgage motion Neutrodyne paid parties patent payment pectin petition plaintiff prior prior art proceeding question receiver reduction to practice refund Revenue Act rule ship Stat statute suit supra taxpayer testimony thereof tion trial trust U. S. Atty United States Attorney United States C. C. A. vessel York City