The Federal ReporterWest Publishing Company, 1935 |
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Halaman 131
... income , the computation shall be made upon such basis and in such manner as in the opinion of the commissioner does clearly reflect the income . " The Treasury Regulations applicable are the material portions of article 33 and article ...
... income , the computation shall be made upon such basis and in such manner as in the opinion of the commissioner does clearly reflect the income . " The Treasury Regulations applicable are the material portions of article 33 and article ...
Halaman 178
... income for the year 1928 of $ 191,804.07 . The aggregate net income so determined results from disallowing the item " Net loss for prior year $ 42,763.08 " taken as a deduction in the 1928 consolidated return , and adding that amount to ...
... income for the year 1928 of $ 191,804.07 . The aggregate net income so determined results from disallowing the item " Net loss for prior year $ 42,763.08 " taken as a deduction in the 1928 consolidated return , and adding that amount to ...
Halaman 400
... income at hearing of tax- payer's appeal on other grounds notwith- standing delay in challenging item ( Revenue Act 1926 , § 274 ( e ) , 26 USCA § 1048c ) . 4. Internal revenue 7 ( 18 , 19 ) Generally , " losses " deductible from tax ...
... income at hearing of tax- payer's appeal on other grounds notwith- standing delay in challenging item ( Revenue Act 1926 , § 274 ( e ) , 26 USCA § 1048c ) . 4. Internal revenue 7 ( 18 , 19 ) Generally , " losses " deductible from tax ...
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Aderhold C C A Ga | 52 |
Reading Co Brown v C C A N J | 83 |
New York Title Mortgage | 352 |
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