The Federal ReporterWest Publishing Company, 1931 |
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Σελίδα 280
... determined prof- its in connection with the four hulls that were constructed and accepted . The Commissioner of Internal Revenue properly included the profits derived by the plaintiff from the construction of these four hulls in its ...
... determined prof- its in connection with the four hulls that were constructed and accepted . The Commissioner of Internal Revenue properly included the profits derived by the plaintiff from the construction of these four hulls in its ...
Σελίδα 285
... determined the to- tal of the said tax to be $ 15,625.96 , and as- sessed a further additional tax of $ 3,217.47 on June 5 , 1920. The Commissioner then made a further audit and determined the amount of tax for the period January 1 to ...
... determined the to- tal of the said tax to be $ 15,625.96 , and as- sessed a further additional tax of $ 3,217.47 on June 5 , 1920. The Commissioner then made a further audit and determined the amount of tax for the period January 1 to ...
Σελίδα 286
... determined the profits tax cred- it to be $ 12,000 . Plaintiff insists that under the decision of this court in Richard A. Strong et al . v . United States , 62 Ct . Cl . 67 , the profits tax credit should be determined on the basis of ...
... determined the profits tax cred- it to be $ 12,000 . Plaintiff insists that under the decision of this court in Richard A. Strong et al . v . United States , 62 Ct . Cl . 67 , the profits tax credit should be determined on the basis of ...
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26 USCA action affirmed alleged amount appellant appellant's appellee application assessment bankrupt bankruptcy Board of Tax cause certificate charge Cheyenne Circuit Court Circuit Judge claim claimant Commissioner of Internal Company contract Corona Coal Co corporation counsel Court of Appeals court of equity creditors damages decision decree defendant defendant's deposit District Court District Judge Emergency Fleet Corporation entitled equity error evidence fact federal filed held hulls income Internal Revenue issued Jackson Bros judgment jurisdiction jury liability liquor ment mortgage National Prohibition Act negligence opinion owner paid parties patent payment Pen Mar petition petitioner plaintiff prior art question railroad receiver refund Revenue Act ship Stat statute suit supra Tax Appeals taxpayer testimony thereof tion trade-mark trial trust trustee in bankruptcy U. S. Atty United States C. C. A. vessel York City