The Federal Reporter, Volume 316West Publishing Company, 1963 |
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Halaman 57
... taxpayer , has petitioned this court for review of the decision of the Tax Court dated April 9 , 1962 ( opinion not re- ported ) upholding the Commissioner's determination of a deficiency in income tax against him for the year 1956. Tax ...
... taxpayer , has petitioned this court for review of the decision of the Tax Court dated April 9 , 1962 ( opinion not re- ported ) upholding the Commissioner's determination of a deficiency in income tax against him for the year 1956. Tax ...
Halaman 253
... taxpayer over the years was the correct method ; further , even if it is not technically correct it nevertheless truly represents taxpayer's income and , therefore , it is a permis- sible method under the precise language of Section 41 ...
... taxpayer over the years was the correct method ; further , even if it is not technically correct it nevertheless truly represents taxpayer's income and , therefore , it is a permis- sible method under the precise language of Section 41 ...
Halaman 1014
... taxpayer's share of partnership in- come , and then his position was , for first time , and at time he and taxpayer were no longer partners , inconsistent with that of taxpayer and her husband who had accepted gov- ernment's voluntary ...
... taxpayer's share of partnership in- come , and then his position was , for first time , and at time he and taxpayer were no longer partners , inconsistent with that of taxpayer and her husband who had accepted gov- ernment's voluntary ...
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action Affirmed agreement alleged amended appellant appellant's appellee April Asst attorney bankrupt bankruptcy Board brief cause certiorari charge Chief Judge Circuit Judge Cite as 316 claim Commission Company complaint contract conviction corporation counsel Court of Appeals Criminal Law damages decision defendant denied dismissed District Court District Judge District of Columbia employees entitled ethylene glycol evidence F.Supp fact federal filed finding habeas corpus held income Internal Revenue issue judgment jurisdiction jury KEY NUMBER SYSTEM L.Ed ment motion National Labor Relations negligence officers opinion parties patent payment petition petitioner plaintiff prior proceeding Pullman Company question railroad Railway Labor Act reasonable record remanded rule S.Ct Section sion Stat statement statute supra Supreme Court Tax Court taxpayer testified testimony tion trial court trial judge trict U. S. Atty union United States Court United States District Uvalde violation Washington witness York