The Federal ReporterWest Publishing Company, 1963 |
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Стр. 70
... Internal Revenue 1456 Administrative summons issued un- der Internal Revenue Code requiring in- dividual taxpayer to produce his books and records before Special Agent of In- ternal Revenue Service would not violate privilege against ...
... Internal Revenue 1456 Administrative summons issued un- der Internal Revenue Code requiring in- dividual taxpayer to produce his books and records before Special Agent of In- ternal Revenue Service would not violate privilege against ...
Стр. 202
... Internal Revenue 365 , 618 , 1337 Where corporate taxpayer , on cash method of accounting , transferred , pur- suant to liquidation plan , all of its as- sets including three contracts on which income had been fully earned but not yet ...
... Internal Revenue 365 , 618 , 1337 Where corporate taxpayer , on cash method of accounting , transferred , pur- suant to liquidation plan , all of its as- sets including three contracts on which income had been fully earned but not yet ...
Стр. 878
... Internal Revenue 2125 Corporate taxpayer had burden of establishing that advances to it by sole stockholders in direct proportion to their equity ownership were loans for which interest payable thereon was deductible . 26 U.S.C.A. ...
... Internal Revenue 2125 Corporate taxpayer had burden of establishing that advances to it by sole stockholders in direct proportion to their equity ownership were loans for which interest payable thereon was deductible . 26 U.S.C.A. ...
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action Affirmed alleged amended appellant appellant's appellee application assets Asst attorney bankrupt Bankruptcy Board brief charge Chief Judge Circuit Judge Cite as 309 claim clause Commission Commissioner Company contract conviction corporation counsel count Court of Appeals Criminal Law decision deduction defendant defendant's denied deuterium discharge dismissed District Court District Judge employees entitled evidence F.Supp fact Federal filed held income tax indictment Internal Revenue issue judgment jury KEY NUMBER SYSTEM L.Ed liability ment motion nolo contendere parties patent payment person petition petitioner plaintiff prior prior art proceeding purpose question reasonable record Refugee Relief Act remanded rule S.Ct sentence sion Stat statement statute summary judgment supra Tax Court taxpayer testimony tion trial court truck U. S. Atty union United States Court United States District verdict violation Washington York York City