The Federal ReporterWest Publishing Company, 1950 |
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Seite 153
... taxpayer , which was engaged in grain business , to nonprofit research corporation to carry on research develop- ment work , was deductible as ordinary and necessary business expense in computing taxpayer's declared value excess profits ...
... taxpayer , which was engaged in grain business , to nonprofit research corporation to carry on research develop- ment work , was deductible as ordinary and necessary business expense in computing taxpayer's declared value excess profits ...
Seite 302
... taxpayer , for the fiscal year ending June 30 , 1942. In his determination , the Commissioner of Internal Revenue found the deficiencies to be : income tax $ 1,743.14 , declared value excess profits tax $ 1,322.13 , excess profits tax ...
... taxpayer , for the fiscal year ending June 30 , 1942. In his determination , the Commissioner of Internal Revenue found the deficiencies to be : income tax $ 1,743.14 , declared value excess profits tax $ 1,322.13 , excess profits tax ...
Seite 304
... taxpayer an independent forum where he could be heard speedily , equitably and impartially on a tax assessment which he thought had been improperly levied or assessed . Its function is to weigh evidence on matters properly before it and ...
... taxpayer an independent forum where he could be heard speedily , equitably and impartially on a tax assessment which he thought had been improperly levied or assessed . Its function is to weigh evidence on matters properly before it and ...
Inhalt
U S C A Shipping | 24 |
et seq 74 A 2d 77 | 336 |
Judges VII | 476 |
Urheberrecht | |
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affirmed alleged amended amount appellant appellant's appellee application Attorney bankruptcy Board cause of action certiorari charge Chief Judge Circuit Judge Cite as 182 Civil Procedure claims colored Commission Commissioner Company complaint constitutional contract corporation counsel Court of Appeals damages decision defendant defendant's denied dismissed District Court District of Columbia employee evidence executive F.Supp fact Federal Rules Federal Trade Commission fendant filed Gladstein Government hectograph held high school income Internal Revenue Isserman issue judgment jury KEY NUMBER SYSTEM L.Ed Labor lease ment motion parties partnership payment person petition petitioner plaintiff prior prior art proceedings question railroad reason record remanded S.Ct Sacher Seagram Section sion Solivellas Stat statute Strayer supra Supreme Court Tax Court taxpayer tion trade-mark trial court trust United States Attorney United States Court United States District violation Washington witness