The Federal ReporterWest Publishing Company, 1940 |
No grāmatas satura
1.–3. rezultāts no 74.
336. lappuse
... loss was not sustained in 1931 , since then it was not definitely ascertained that taxpayer would sustain a loss or if so what it would be , nor was it sustained when taxpayer paid note , since that was but the payment of a debt ...
... loss was not sustained in 1931 , since then it was not definitely ascertained that taxpayer would sustain a loss or if so what it would be , nor was it sustained when taxpayer paid note , since that was but the payment of a debt ...
338. lappuse
... loss was sus- tained , and we have recently held that the payment of a debt results in no de- ductible loss . United States v . Little War Creek Coal Co. , 4 Cir . , 104 F.2d 483 . How a deductible loss must be evidenc- ed is thus set ...
... loss was sus- tained , and we have recently held that the payment of a debt results in no de- ductible loss . United States v . Little War Creek Coal Co. , 4 Cir . , 104 F.2d 483 . How a deductible loss must be evidenc- ed is thus set ...
1102. lappuse
... Losses . C.C.A.3 Under statute concerning allowable deductions in computing net income and au- thorizing the deduction of losses , the loss must be actually sustained during the taxable year and a deduction can not be allowed for antici ...
... Losses . C.C.A.3 Under statute concerning allowable deductions in computing net income and au- thorizing the deduction of losses , the loss must be actually sustained during the taxable year and a deduction can not be allowed for antici ...
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