The Federal ReporterWest Publishing Company, 1944 |
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Σελίδα 28
... petitioner denies , its income tax character . The U. S. Tax Court held it was taxable income . It is worthy of note that ( 1 ) the annual payments which petitioner received from 1917 to 1939 were properly subject to in- come tax as ...
... petitioner denies , its income tax character . The U. S. Tax Court held it was taxable income . It is worthy of note that ( 1 ) the annual payments which petitioner received from 1917 to 1939 were properly subject to in- come tax as ...
Σελίδα 481
... petitioner's income tax for the taxable year ending September 30 , 1940. The question before us is whether the findings of the Tax Court , resulting in the conclu- sion that petitioner was availed of to avoid the imposition of a surtax ...
... petitioner's income tax for the taxable year ending September 30 , 1940. The question before us is whether the findings of the Tax Court , resulting in the conclu- sion that petitioner was availed of to avoid the imposition of a surtax ...
Σελίδα 651
... petitioner . to be paid by Savannah as refiner for the account of petitioner and reserved from the proceeds of sale . Notwithstanding the form of the contract , it is testified without contradiction that the parties regarded the ...
... petitioner . to be paid by Savannah as refiner for the account of petitioner and reserved from the proceeds of sale . Notwithstanding the form of the contract , it is testified without contradiction that the parties regarded the ...
Περιεχόμενα
Page | 9 |
Table of Cases Arranged by Circuit | 11 |
Statutes Construed | 11 |
Πνευματικά δικαιώματα | |
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action affirmed alleged amended amount appellant appellee application assets Asst Atty bank beneficiary bonds certiorari charge Circuit Court Circuit Judge claim commerce Commissioner of Internal Company contract Corporation Court of Appeals creditors debtor decision decree deduction defendant defendant's denied determined District Court dividends Eminent domain employees entitled equity escheat evidence executed fact Federal Trade Commission filed habeas corpus held Horlick insured interest Internal Revenue issue John Henry Kirby judgment June 26 jurisdiction jury KEY NUMBER SYSTEM L.Ed Labor Relations Board land ment National Labor Relations Natural Gas negligence noteholders paid parties Pat.App patent payment Permanent Edition petition petitioner plaintiff preferred stock Price proceedings purchase question received regulation remanded respondent Revenue Act road engaging rule S.Ct Securities settlor Stat statute stockholders subrogation supra Tax Court taxable taxpayer tion trial court trust United violation Washington York York City