The Federal ReporterWest Publishing Company, 1941 |
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Halaman 429
... period before and after the tax . The term " tax period " as used in section 907 is defined in subsection ( c ) thereof as the period during which the claimant actually paid the processing tax , ending on the date with respect to which ...
... period before and after the tax . The term " tax period " as used in section 907 is defined in subsection ( c ) thereof as the period during which the claimant actually paid the processing tax , ending on the date with respect to which ...
Halaman 430
... period from February 1 to July 31 , 1936 , 97.668 % of the taxpayer's product consisted of the manufacture of this particular type of ci- gar , and the gross income of the taxpay- er practically doubled over the tax period and previous ...
... period from February 1 to July 31 , 1936 , 97.668 % of the taxpayer's product consisted of the manufacture of this particular type of ci- gar , and the gross income of the taxpay- er practically doubled over the tax period and previous ...
Halaman 636
... period in 1932. In other words , the Commission adopted a twenty- three year period , whereas petitioners fig- ured on a fourteen year five month period . In addition to the reasons for our conclu- sions respecting contention ( a ) ...
... period in 1932. In other words , the Commission adopted a twenty- three year period , whereas petitioners fig- ured on a fourteen year five month period . In addition to the reasons for our conclu- sions respecting contention ( a ) ...
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Table of Cases Reported XV | |
Federal Rules of Civil Procedure XLII | |
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action affirmed agreement alleged allowed amount Appeals appellee application authority bank Board bond cause charged Circuit Judge City claims collective Commissioner Commissioner of Internal Company condition contention contract corporation cost counts Court of Appeals decision deduction defendant definitions denied determined directed District Court effect employees entered evidence Examiner execution fact Federal filed finding further held income indicate interest Internal Revenue invention involved issue judgment jury L.Ed lease liability limited loss matter means ment motion National Labor Relations officers operation opinion paid parties patent payment period Permanent person petition petitioner plaintiff present prior proceeding question reason receiver record referred respect result Revenue Act rule S.Ct securities statute suit taxpayer term tion trial trust United York