Cases Decided in the United States Court of Claims ... with Report of Decisions of the Supreme Court in Court of Claims Cases, 222. sējumsThe Court, 1979 |
No grāmatas satura
1.5. rezultāts no 13.
76. lappuse
... WHTC affiliates . Not having received notice of disal- lowance of its claim for refund , plaintiff filed the present suit . Plaintiff contests the validity of Treas . Reg . § 1.1502-25 ( c ) or , if valid , it contends that the ...
... WHTC affiliates . Not having received notice of disal- lowance of its claim for refund , plaintiff filed the present suit . Plaintiff contests the validity of Treas . Reg . § 1.1502-25 ( c ) or , if valid , it contends that the ...
77. lappuse
... WHTC members could be allocated against the income of the WHTC , thereby reducing the amount of WHTC income actually subject to foreign taxation . Internal Revenue 157 Taxes ; income tax ; consolidated income tax returns ; Western ...
... WHTC members could be allocated against the income of the WHTC , thereby reducing the amount of WHTC income actually subject to foreign taxation . Internal Revenue 157 Taxes ; income tax ; consolidated income tax returns ; Western ...
79. lappuse
... WHTC affiliates . Shortly thereafter , on April 23 , 1973 , plaintiff timely filed a claim for refund . No formal notice of disallowance was ever sent to plaintiff , and after the expiration of more than 6 months plaintiff filed the ...
... WHTC affiliates . Shortly thereafter , on April 23 , 1973 , plaintiff timely filed a claim for refund . No formal notice of disallowance was ever sent to plaintiff , and after the expiration of more than 6 months plaintiff filed the ...
80. lappuse
... WHTC with a special deduction equal to a fraction of its taxable income . In 1967 this fraction was 29.167 percent , 1 making WHTCs taxable at a rate of approximately 34 percent of taxable income prior to the section 922 deduction ...
... WHTC with a special deduction equal to a fraction of its taxable income . In 1967 this fraction was 29.167 percent , 1 making WHTCs taxable at a rate of approximately 34 percent of taxable income prior to the section 922 deduction ...
82. lappuse
... WHTC paid foreign taxes in excess of the effective United States rate on WHTC income ( 38 percent when section 1503 ( b ) ( 1 ) was enacted , 34 percent in the 1967 tax year involved here ) , the excess foreign taxes could be used as a ...
... WHTC paid foreign taxes in excess of the effective United States rate on WHTC income ( 38 percent when section 1503 ( b ) ( 1 ) was enacted , 34 percent in the 1967 tax year involved here ) , the excess foreign taxes could be used as a ...
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1980 the court aboriginal title action active duty administrative Alice Daniel alleged amended amount annuity appeal asserted assignment Assistant Attorney Attorney General Alice attorney of record award clause cloud seeding Congress contracting officer contractor corporation costs counsel counterclaim decedent December 12 decision defendant defendant's motion denied determination employee entitled evidence fact False Claims Act FEBRUARY 29 federal filed Flexifloat foreign tax foreign tax credit franchise Government Government's granted income tax Indian Claims Commission interest Internal Revenue issue January 25 judge's jurisdiction leases ment Minnesota Chippewa Tribe motion for summary paid parties patent payment percent plaintiff plaintiff's motion pole signs powder prior profits pursuant reasonable reclamation refund regulations remanded Renegotiation Reserve retirement Robishaw Rule Sioux Stat statute summary judgment supra tion treaty trial division trial judge Tribe United watershed lands WHTC