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Стр. 119
The tax was computed by the commissioner and demand made for the amount thereof June 27 , 1923. This amount , after correction of a relatively trifling error of $ 151.17 , is the amount which was paid by the taxpayer in March , 1924.
The tax was computed by the commissioner and demand made for the amount thereof June 27 , 1923. This amount , after correction of a relatively trifling error of $ 151.17 , is the amount which was paid by the taxpayer in March , 1924.
Стр. 120
ly what manner he ruled upon the claims in abatement if the total amount demanded was equal to that which had been agreed to and paid by the taxpayer . In this view we think the commissioner was correct for the reasons stated .
ly what manner he ruled upon the claims in abatement if the total amount demanded was equal to that which had been agreed to and paid by the taxpayer . In this view we think the commissioner was correct for the reasons stated .
Стр. 699
The taxpayer admits that the amount of additional taxes for the years 1922 and 1923 , occasioned by the rejection of its asserted deduction for depreciation , is taxable income upon which it must pay a tax .
The taxpayer admits that the amount of additional taxes for the years 1922 and 1923 , occasioned by the rejection of its asserted deduction for depreciation , is taxable income upon which it must pay a tax .
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action affirmed alleged amount Appeals appellee application authority bank bankruptcy bill Board bond cause charge Circuit Court Circuit Judge City claim clear Commission Commissioner Company condition considered contention contract corporation count Court of Appeals decision decree deduction defendant denied deposit determined directed District Court District Judge effect entitled error evidence fact filed funds further given ground held income indictment interest Internal Revenue issue judgment jury land lease limited loss matter means ment officers operation opinion paid parties patent payment person petition plaintiff present prior proceedings purchase question reason received record referred result Revenue Act rule securities statement statute sufficient suit tion trial trust United USCA