The Federal ReporterWest Publishing Company, 1936 |
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Halaman 215
... loss in 1926 which was not fully absorbed in 1927 , taxpayer could not use unabsorbed portion of the 1926 net loss to wipe out income for year 1928 , so that loss sustained in 1928 could be carried forward as net loss in com- puting net ...
... loss in 1926 which was not fully absorbed in 1927 , taxpayer could not use unabsorbed portion of the 1926 net loss to wipe out income for year 1928 , so that loss sustained in 1928 could be carried forward as net loss in com- puting net ...
Halaman 216
We shall assume that the loss of $ 59 , - 329.96 was a loss sustained by petition- er in his regular business during 1928 which could be carried over and used as a deduction in 1929 or 1930 , or part- ly in both , to the extent that it ...
We shall assume that the loss of $ 59 , - 329.96 was a loss sustained by petition- er in his regular business during 1928 which could be carried over and used as a deduction in 1929 or 1930 , or part- ly in both , to the extent that it ...
Halaman 1076
... loss in 1926 which was not fully absorbed in 1927 , taxpayer could not use unabsorbed portion of the 1926 net loss to wipe out income for year 1928 , so that loss sustained in 1928 could be carried forward as net loss in computing net ...
... loss in 1926 which was not fully absorbed in 1927 , taxpayer could not use unabsorbed portion of the 1926 net loss to wipe out income for year 1928 , so that loss sustained in 1928 could be carried forward as net loss in computing net ...
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affirmed agreement alleged amended amount appellant appellant's appellee application Arizona assessment assets Asst attorney bankrupt bankruptcy Bechtel bill bonds cause of action charge Circuit Court Circuit Judge City claim Clarence Saunders Commissioner of Internal Company constitute contract corporation count Court of Appeals court of equity creditors decision decree defendant denied disability dismissed District Court District Judge employees entitled equitable lien equity error evidence fact federal filed Frank Nash fund habeas corpus held Helvering income infringement injunction interest Internal Revenue involved issued judgment jurisdiction jury L.Ed liability lien loss ment paid parties patent payment pellant petition petitioner plaintiff premiums prior proceeding Puerto Rico question received record rule S.Ct Stat statute stockholders suit supra Supreme Court testimony thereof tion trade-mark trial court trust U. S. Atty Ultraphone United States Penitentiary York