The Federal ReporterWest Publishing Company, 1931 |
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Σελίδα 288
... Interest was not allowable on overpay- ments for 1918 and 1919 , credited on 1920 tax becoming due and accruing prior to date of overpayments . 2. Internal revenue Interest on 38 ( 15 ) . overpayments credited against penalty was ...
... Interest was not allowable on overpay- ments for 1918 and 1919 , credited on 1920 tax becoming due and accruing prior to date of overpayments . 2. Internal revenue Interest on 38 ( 15 ) . overpayments credited against penalty was ...
Σελίδα 289
... interest would otherwise have been payable . The Commissioner allowed interest on this item only from June 24 , 1926 , to December 23 , 1926 , the date of the allowance of the refund . Plaintiff claims that , when this amount was ...
... interest would otherwise have been payable . The Commissioner allowed interest on this item only from June 24 , 1926 , to December 23 , 1926 , the date of the allowance of the refund . Plaintiff claims that , when this amount was ...
Σελίδα 1007
... interest on judgments for overpayment of federal taxes held erroneous , since statute authorized interest on overpayment , not on judgment ( Revenue Act 1928 , §§ 614 ( a ) , 615 ( a ) , 26 USCA § 2614 ( a ) , 28 USCA § 284 ( b ) . 1919 ...
... interest on judgments for overpayment of federal taxes held erroneous , since statute authorized interest on overpayment , not on judgment ( Revenue Act 1928 , §§ 614 ( a ) , 615 ( a ) , 26 USCA § 2614 ( a ) , 28 USCA § 284 ( b ) . 1919 ...
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26 USCA action affirmed agent alleged amount appellant appellee application assessment assets bank bankrupt bankruptcy bill Board of Tax bonds charge Circuit Court Circuit Judge claim commission Commissioner of Internal Company contract corporation counsel Court of Appeals creditors Dahly decision decree defendant directed verdict disability District Court District Judge District of Columbia entitled evidence fact filed guard rail habeas corpus held income indictment Internal Revenue issued judgment jurisdiction jury libel ment mortgage motion National Prohibition Act officers opinion owner paid parties patent payment petition petitioner petrolatum plaintiff proceeding profits question railroad receiver refund Revenue Act rule Shipping Silarus Silver Springs Stat statute suit Supreme Court Tax Appeals taxpayer testimony thereof tion trial trustee trustee in bankruptcy U. S. Atty United States C. C. A. vessel wigwag York City