The Federal ReporterWest Publishing Company, 1955 |
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Стр. 106
... income . The more precise issue for this court to consider is whether appellees ' share of the partnership ordinary income can be transformed from ordinary income to capital gain by regarding the entire transaction as the sale of a ...
... income . The more precise issue for this court to consider is whether appellees ' share of the partnership ordinary income can be transformed from ordinary income to capital gain by regarding the entire transaction as the sale of a ...
Стр. 109
... income from any other capital asset . Fisher v . Commissioner , 6 Cir . , 209 F.2d 513 , certiorari denied 1954 ... income ( interest due on the notes ) as ordinary income and not capital gain and that in a tax sense it was unimportant ...
... income from any other capital asset . Fisher v . Commissioner , 6 Cir . , 209 F.2d 513 , certiorari denied 1954 ... income ( interest due on the notes ) as ordinary income and not capital gain and that in a tax sense it was unimportant ...
Стр. 379
... income of $ 9,478.94 . his bank deposits reflected income . United States v . Count II of the indictment against Jacob Strauch charges willful evasion of income tax in 1946 , by willful failure to file income tax return for 1945. Jacob ...
... income of $ 9,478.94 . his bank deposits reflected income . United States v . Count II of the indictment against Jacob Strauch charges willful evasion of income tax in 1946 , by willful failure to file income tax return for 1945. Jacob ...
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action affirmed alleged amended amount appellant appellant's appellee application Atty bank basis Board brief cause charge Chief Circuit Judge Cite as 223 claim clear Commissioner Communist Company considered constitutional contract Control conviction corporation counsel Court of Appeals Criminal damages decision defendant denied determination directed District Court effect employee error evidence fact failed Federal filed finding follows further Government ground held income injuries interest Internal Revenue Internal Revenue Code involved issue judgment June jury L.Ed limited mark material matter means ment motion negligence objection officers operation opinion organization Party patent payment person plaintiff present prior proceeding question reason received record reference registration Relations respect result rule S.Ct says specific Stat statement statute sufficient sustained testimony tion trial Union United witness