The Federal ReporterWest Publishing Company, 1962 |
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Σελίδα 124
... received otherwise than as ordinary income . 26 U.S.C.A. ( I.R.C. 1954 ) §§ 61 , 1221 , 1222 . 4. Internal Revenue 409.10 , 724 Lump sum received by taxpayers as consideration for assignment of fraction- al interest in mineral ...
... received otherwise than as ordinary income . 26 U.S.C.A. ( I.R.C. 1954 ) §§ 61 , 1221 , 1222 . 4. Internal Revenue 409.10 , 724 Lump sum received by taxpayers as consideration for assignment of fraction- al interest in mineral ...
Σελίδα 298
... received . The Tax Court found in favor of the Commissioner . Gilken Corp. v . C. I. R. , 1948 , 10 T.C. 445 . On the taxpayer's petition for review . the Court of Appeals for the Sixth Cir- cuit supported the opinion of the Tax Court ...
... received . The Tax Court found in favor of the Commissioner . Gilken Corp. v . C. I. R. , 1948 , 10 T.C. 445 . On the taxpayer's petition for review . the Court of Appeals for the Sixth Cir- cuit supported the opinion of the Tax Court ...
Σελίδα 598
... received such amount . " If the decedent had lived and received the interest , it would have been taxable in- come to him . We do not think it was an unconstitutional exercise of power for Congress to exact the payment of the in- come ...
... received such amount . " If the decedent had lived and received the interest , it would have been taxable in- come to him . We do not think it was an unconstitutional exercise of power for Congress to exact the payment of the in- come ...
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