U.S. Tax Cases, 54. sējums,1. izdevumsCommerce Clearing House, 1954 1935-42 decisions originally reported currently in the Standard federal tax service, and 1941-42 also in the Federal estate and gift tax service, and 19 - in the Federal excise tax reports. |
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1.–3. rezultāts no 71.
45-197. lappuse
... appellant told him to put it all down as deductible expense , and that if they were caught , he ( appellant ) would take care of it . When Mattis had prepared a tentative return , ap- pellant told him it was still " too damn high ...
... appellant told him to put it all down as deductible expense , and that if they were caught , he ( appellant ) would take care of it . When Mattis had prepared a tentative return , ap- pellant told him it was still " too damn high ...
45-533. lappuse
... appellant and his wife as of December 31 , 1944 , was higher than that stated by the government in its computation of unreported income , that the increase in their net worth for the two years was less , and that a part of this increase ...
... appellant and his wife as of December 31 , 1944 , was higher than that stated by the government in its computation of unreported income , that the increase in their net worth for the two years was less , and that a part of this increase ...
45-561. lappuse
... appellant did not include in his statement a bank account which substan- tially increased his net worth for the year 1946. This account was held in the name of Dean Muir and Janet Smith , but the appel- lant admits his ownership of it ...
... appellant did not include in his statement a bank account which substan- tially increased his net worth for the year 1946. This account was held in the name of Dean Muir and Janet Smith , but the appel- lant admits his ownership of it ...
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affirmed agent agreement alleged amount appellant appellee assessment assets Back reference Bank basis Benatar Brian Holland capital gain cash CCH Dec charged Circuit Judges Collector of Internal Comm'r Commissioner of Internal Company contract corporation counts Court of Appeals debt December December 31 decision deduction defendant deficiency determined District Court entitled evidence excess profits tax expenses federal filed funds gross income held Helvering income tax income tax return indictment interest Internal Revenue Code issue judgment jury loss ment motion net income ordinary income paid parties partner partnership payment petition petitioner plaintiff preferred stock prior purchase purpose question real estate received record reported rule Rutkin Schino shares sold statute stockholders Supp supra Tax Court tax liens taxable income taxpayer testimony thereof tion trade or business transaction trial trust United States Attorney United States Court United States District USTC wife