Internal Revenue Cumulative BulletinDepartment of the Treasury, Internal Revenue Service |
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1.5. rezultāts no 9.
10. lappuse
... transfer of a half inter- est in the horse was not a gift but compensa- tion for past services in training the horse based on a business relationship of the par- ties concerned and the time of transfer was conditional upon stated ...
... transfer of a half inter- est in the horse was not a gift but compensa- tion for past services in training the horse based on a business relationship of the par- ties concerned and the time of transfer was conditional upon stated ...
15. lappuse
... transfer to the decedent's widow in satisfaction of her dower interest and by a trustee under a power in trust created by the will with respect to income he received from realty to which the beneficiaries held legal title . S.M. 4945 ...
... transfer to the decedent's widow in satisfaction of her dower interest and by a trustee under a power in trust created by the will with respect to income he received from realty to which the beneficiaries held legal title . S.M. 4945 ...
16. lappuse
... transferring to the Corporation his ownership of the cot- ton pledged as security . Any additional amount realized by the ... transfer to the decedent's widow in satisfaction of her dower interest and by a trustee under a power in trust ...
... transferring to the Corporation his ownership of the cot- ton pledged as security . Any additional amount realized by the ... transfer to the decedent's widow in satisfaction of her dower interest and by a trustee under a power in trust ...
17. lappuse
... transferred to him in the U.S. should , before deducting depreciation , convert the transfers into dollars at the ex- change rate in effect on each transfer date and may compute the rate for any unremit- ted profit by dividing by 12 the ...
... transferred to him in the U.S. should , before deducting depreciation , convert the transfers into dollars at the ex- change rate in effect on each transfer date and may compute the rate for any unremit- ted profit by dividing by 12 the ...
18. lappuse
... transferring to the Corporation his ownership of the cot- ton pledged as security . Any additional amount realized by the producer from the Corporation's sale of the cotton for more than the amount owed is includible in his income in ...
... transferring to the Corporation his ownership of the cot- ton pledged as security . Any additional amount realized by the producer from the Corporation's sale of the cotton for more than the amount owed is includible in his income in ...
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54 Code accrual method affiliated group amending its returns amount bankruptcy beneficiary candidate or officeholder carried back carryback carrying charges incurred cash method charitable contribution charitable organization clude Commodity Credit Corporation Consolidated returns controlled foreign corporation corporation's Crop shares deducting the expenses depreciation determination letters domestic parent ductible employee employment seniority rights employment tax purposes Exempt organizations fair market value farmer-landlord feed lot operator financial conformity requirements foreign branch foreign tax credit gross income income tax incurred on machinery Index Digests interest law firm inventory Investment credit liability insurance policy LIFO loan lump-sum payment manufacturing method of accounting Namibian NLRB award Nonacq precluded from amending preferred stock Proc professional corporation provisions of section public interest law purchase Qualified export returns for open specific subject headings spect stock broker subsidiaries tax liability taxable status taxable year received taxpayer timber trust U.S. dollars wages for employment