The Federal ReporterWest Publishing Company, 1932 |
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Стр. 271
... period January 1 to June 30 , 1917. On April 13 , 1923 , the Commissioner , having completed his examina- tion and audit , mailed to the plaintiff a letter Correct tax liability stating that an examination of its returns , together with ...
... period January 1 to June 30 , 1917. On April 13 , 1923 , the Commissioner , having completed his examina- tion and audit , mailed to the plaintiff a letter Correct tax liability stating that an examination of its returns , together with ...
Стр. 272
... period , the Commissioner determined plaintiff's stat- utory invested capital for the twelve months ' period January 1 to December 31 , 1917 , to be $ 2,770,588.95 , and thereupon allowed and used one - half of said amount , or ...
... period , the Commissioner determined plaintiff's stat- utory invested capital for the twelve months ' period January 1 to December 31 , 1917 , to be $ 2,770,588.95 , and thereupon allowed and used one - half of said amount , or ...
Стр. 833
... period of lim- itation within which the Commissioner could legally allow an overpayment for the taxable period October 18 to December 31 , 1918 , and credit or refund the same , plaintiff contends that the claim for credit filed March 9 ...
... period of lim- itation within which the Commissioner could legally allow an overpayment for the taxable period October 18 to December 31 , 1918 , and credit or refund the same , plaintiff contends that the claim for credit filed March 9 ...
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Часто встречающиеся слова и выражения
26 USCA action affirmed alleged alternating current amended amount appellee application assessment assets bankrupt bankruptcy bill Board of Tax castile soap cent charge Circuit Court Circuit Judge claim for refund Commissioner of Internal Company contract corporation counsel Court of Appeals creditors decision decree deduction defendant defendant's direct current District Court District Judge Eskimo Pie evidence excess profits tax fact February 25 filed held income infringement Internal Revenue invention issue judgment June jurisdiction libelant loan Lumber Malted Milk maritime lien ment mortgage National Bank Norne olive oil overassessment overpayment paid pany parties partnership patent payment petition petitioner plaintiff prior prior art profits tax question received record referred Revenue Act soap Stat statute supra Tax Appeals taxable taxpayer testimony thereof tion trial Trust United Vapex Vapure York York City