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Стр. 1122
9 ( 27 ) Ct.C. Pipe - line properties of corporations engaged exclusively in transportation of oil were not " facilities for production of war materials " within law authorizing deduction for amortization ( Revenue Act 1918 , § 234 ( a ) ...
9 ( 27 ) Ct.C. Pipe - line properties of corporations engaged exclusively in transportation of oil were not " facilities for production of war materials " within law authorizing deduction for amortization ( Revenue Act 1918 , § 234 ( a ) ...
Стр. 1123
Id . 25 C.C.A. Evidence warranted finding that debtor - creditor relation between taxpayer and railroad did not exist , precluding deduction claimed for bad debt against railroad ( Revenue Act 1918 , § 214 ( a ) .- Harmount v .
Id . 25 C.C.A. Evidence warranted finding that debtor - creditor relation between taxpayer and railroad did not exist , precluding deduction claimed for bad debt against railroad ( Revenue Act 1918 , § 214 ( a ) .- Harmount v .
Стр. 1124
Computation of difference in taxes by reason of failure to make certain deductions from invested capital in previous years must be made in manner which Commissioner would have adopted had he known of deductions ( Revenue Act 1926 ...
Computation of difference in taxes by reason of failure to make certain deductions from invested capital in previous years must be made in manner which Commissioner would have adopted had he known of deductions ( Revenue Act 1926 ...
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action actual affirmed alleged allowed amount Appeals application authority bank bill Board bond capital cause cent charged City claim commission Commissioner condition contract corporation cost counsel court decision deductions defendant depreciation determined directed District District Court District Judge effect entitled evidence execution fact filed follows further ground held hold income insured interest Internal Revenue invested issue Judge judgment jurisdiction limited loss March matter means ment Michigan motion operation opinion paid parties patent payment period permit person petition petitioner plaintiff present prior proceeding purchase question reason received record reference refund result Revenue Act rule secure statute suit testimony tion trial trust United USCA York