The Federal ReporterWest Publishing Company, 1932 |
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Стр. 2
... period within which an as- sessment was prohibited by law . On May 20 , 1924 , the taxpayer and Com- missioner signed an income and profits tax waiver extending the period for the deter- mination of the assessment and collection of the ...
... period within which an as- sessment was prohibited by law . On May 20 , 1924 , the taxpayer and Com- missioner signed an income and profits tax waiver extending the period for the deter- mination of the assessment and collection of the ...
Стр. 18
... period . It provided that in such cases the tax on the en- tire income for the fiscal year should be computed at the rate prevailing during the first calendar year , and that the proportion of the tax which the period in which these ...
... period . It provided that in such cases the tax on the en- tire income for the fiscal year should be computed at the rate prevailing during the first calendar year , and that the proportion of the tax which the period in which these ...
Стр. 1046
... period . It is , therefore , a carrier within the meaning of paragraph ( a ) of section 204 of the Trans- The ... period from June 4 , 1918 , to February 29 , 1920 , inclusive . Its return un- der our circular of March 4 , 1920 ...
... period . It is , therefore , a carrier within the meaning of paragraph ( a ) of section 204 of the Trans- The ... period from June 4 , 1918 , to February 29 , 1920 , inclusive . Its return un- der our circular of March 4 , 1920 ...
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26 USCA action adverse possession agent alleged amended amount appellee application bankruptcy Board bonds carrier cause charge Circuit Court Circuit Judge claim Commission common law Constitution contention contract Corporation counsel Court of Appeals decision decree defendant defendant's District Court District Judge electricity entitled equity evidence fact federal filed held Idaho income interest Internal Revenue interstate commerce Interstate Commerce Commission issue judgment jurisdiction jury lands liability libelant license lien Louis matter ment National Prohibition Act natural gas operation owner paid parties patent payment petition petitioner plaintiff prior prior art purpose question railroad reason Revenue Act San Joaquin river ship South Carolina Stat statute suit supra Supreme Court taxable taxpayer Territory of Hawaii testimony thereof tion trial trust U. S. Atty United States C. C. A. USCA vessel York City