The Federal ReporterWest Publishing Company, 1945 |
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Σελίδα 286
taxability of a child's interest in the trust as a gift . Revenue Act 1932 , § 503 , 26 U.S.C.A. Int . Rev. Code , § 1002 . 3. Internal revenue 1006 Where parents contributed all the property to a family trust , except 9.25 per cent ...
taxability of a child's interest in the trust as a gift . Revenue Act 1932 , § 503 , 26 U.S.C.A. Int . Rev. Code , § 1002 . 3. Internal revenue 1006 Where parents contributed all the property to a family trust , except 9.25 per cent ...
Σελίδα 504
... trust are income which under the trust instru- ment was currently distributable and thus taxable to the beneficiary under § 162 ( b ) of the Internal Revenue code , or whether the dividends are " accretions to the trust property ...
... trust are income which under the trust instru- ment was currently distributable and thus taxable to the beneficiary under § 162 ( b ) of the Internal Revenue code , or whether the dividends are " accretions to the trust property ...
Σελίδα 506
... Trust B gave Caro- line Doty the right to substantially one - half the income of the estate for life . The testatrix's second purpose was to provide for her grandchildren . Caroline Doty's children had remaindermen's interests in Trust B.
... Trust B gave Caro- line Doty the right to substantially one - half the income of the estate for life . The testatrix's second purpose was to provide for her grandchildren . Caroline Doty's children had remaindermen's interests in Trust B.
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action Administrator affirmed Alcoa alleged amended amount appellant appellant's appellee application Armour & Co Asst attorney beef beneficiary charge Circuit Court Circuit Judges Cite as 148 claim Commission Commissioner of Internal Company contention contract corporation cost counsel Court of Appeals decision defendant denied determine District Court employees evidence F.Supp fact Federal Federal Trade Commission filed habeas corpus Helvering income induction ingot intent interest Internal Revenue issue judgment jurisdiction jury KEY NUMBER SYSTEM L.Ed lease liability maximum prices ment motion National Labor Relations operation paid parties patent payment petition petitioner plaintiff prior art proceedings production profits purpose question record regulation respondent Revenue Act rule S.Ct Sherman Anti-Trust Act Stat statute suit supra Supreme Court Tax Court taxpayer tion trial court trust U. S. Atty U.S.C.A.Appendix United United States Attorney violation York City