The American University Tax Institute Lectures: Papers Presented to the Institutes on Federal Taxes ..., 1. sējumsM. Bender, 1946 |
No grāmatas satura
1.–3. rezultāts no 41.
89. lappuse
... ( Section 102 , 1. R. C. ) ( 1 ) The Fundamentals * By CLARENCE E. DAWSON In a recent address by Deputy Commissioner McLar- ney before the Tax Executives Institute in ... Section 102 I R C (1) The Fundamentals By Clarence E Dawson (1947)
... ( Section 102 , 1. R. C. ) ( 1 ) The Fundamentals * By CLARENCE E. DAWSON In a recent address by Deputy Commissioner McLar- ney before the Tax Executives Institute in ... Section 102 I R C (1) The Fundamentals By Clarence E Dawson (1947)
106. lappuse
... Section 102 involves the parent's taxable income , no Section 102 liability on the parent can be incurred if it has no Section 102 undistributed net in- come of its own . If the parent does have such income , that income might well have ...
... Section 102 involves the parent's taxable income , no Section 102 liability on the parent can be incurred if it has no Section 102 undistributed net in- come of its own . If the parent does have such income , that income might well have ...
110. lappuse
... Section 29.102-2 . ) ( 9 ) A case is likely to be hard to win where dominant stockholders are in high income tax ... 102 , while keyed to real facts rather than to technicalities , does not operate recklessly . It aims at not claiming a ...
... Section 29.102-2 . ) ( 9 ) A case is likely to be hard to win where dominant stockholders are in high income tax ... 102 , while keyed to real facts rather than to technicalities , does not operate recklessly . It aims at not claiming a ...
Saturs
TaxFree Corporate Exchanges Section 102 1 R C | 3 |
2 Selected Problems | 23 |
Tax Problems Relating to the Purchase Sale | 35 |
Autortiesības | |
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The American University Tax Institute Lectures: Papers Presented ..., 5. sējums Fragmentu skats - 1953 |
The American University Tax Institute Lectures: Papers Presented ..., 2. sējums Fragmentu skats - 1949 |
The American University Tax Institute Lectures: Papers Presented ..., 3. sējums Fragmentu skats - 1951 |
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acquired actual agreement alimony allowed amount Appeals apply assets attorney base period basis benefits Bureau capital Circuit claim Code Comm Commissioner Company consideration considered corporation course decision deduction deficiency denied determination distribution dividend earnings effect employees entire established evidence excess exchange exempt existing extent facts Federal filed foreign gain gift give Government held Helvering husband important included income tax interest Internal Revenue Internal Revenue Code involved issue liability limitation liquidation loss matter means ment necessary obligation paid parties payments period person petition present principle prior problem profits provides purchase question reason received record refund regulations reorganization respect result Revenue Act rule Section 102 securities separation situation statute stockholders Supreme Court Tax Court taxable taxation taxpayer tion transaction transfer treaties trial trust United wife