United States Congressional Serial Set, 13060-13064. sējumiU.S. Government Printing Office, 1974 |
No grāmatas satura
1.–5. rezultāts no 100.
viii. lappuse
... Introduction__ A. Shuffleboard court- B. Fence and hedge system . C. Landscape construction . D. Landscape maintenance . 5. Summary _ _ 196 196 197 197 198 199 200 Explanations - Continued Part Eight . Sales Tax Deduction .. VIII.
... Introduction__ A. Shuffleboard court- B. Fence and hedge system . C. Landscape construction . D. Landscape maintenance . 5. Summary _ _ 196 196 197 197 198 199 200 Explanations - Continued Part Eight . Sales Tax Deduction .. VIII.
15. lappuse
... courts generally employ the criteria of donative intent , delivery and acceptance to determine whether such a transfer has occurred . The brief argues that this mechanical formula is not , in fact , applied rigidly by the courts ...
... courts generally employ the criteria of donative intent , delivery and acceptance to determine whether such a transfer has occurred . The brief argues that this mechanical formula is not , in fact , applied rigidly by the courts ...
16. lappuse
... court held that given the President's public announcement of his intention to donate the papers , a constructive ... courts normally insist upon corroborative evidence in the form of actual or constructive delivery . In many cases this ...
... court held that given the President's public announcement of his intention to donate the papers , a constructive ... courts normally insist upon corroborative evidence in the form of actual or constructive delivery . In many cases this ...
18. lappuse
... courts have reached basic agreement as to the elements of a valid gift and have applied these elements to income , It should be noted that on May 22 , 1969 , an article appeared in the Wall Street Journal claiming that personnel in the ...
... courts have reached basic agreement as to the elements of a valid gift and have applied these elements to income , It should be noted that on May 22 , 1969 , an article appeared in the Wall Street Journal claiming that personnel in the ...
19. lappuse
... courts want to be sure that the donor has seriously considered the nature of his action and fully intends to make a gift , Smith v . Smith , 313 S.W. 2d 753 ( Mo. Ct . App . 1958 ) . Second , the courts demand objective evidence that a ...
... courts want to be sure that the donor has seriously considered the nature of his action and fully intends to make a gift , Smith v . Smith , 313 S.W. 2d 753 ( Mo. Ct . App . 1958 ) . Second , the courts demand objective evidence that a ...
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Abraham Lincoln Book acres additional allocation amount April 21 Archivist basis Bay Lane beach Blech boxes California Chattel Deed common law copy Cotton estate court dated December December 30 delivery depreciation determined discussed documents donor Ehrlichman employee Exhibit expenditures expenses fact fair market value files Frank DeMarco future interest gift of papers Government Improvements included incurred indicated intent Internal Revenue Service John Ehrlichman July 25 Kalmbach Key Biscayne letter lots March 27 Mary Livingston materials memorandum ment Morgan National Archives Nixon papers paid Patricia payment percent personal property portion pre-Presidential papers President Nixon Presidential Libraries Presidential papers purchase Ralph Newman REAL ESTATE APPRAISER restrictions retained Richard Richard Milhous Nixon Ritzel San Clemente property San Clemente residence second gift Secret Service Services Administration sold staff believes statement talked telephonically tax deduction tax return taxable income taxpayer telephonically with members told the staff United
Populāri fragmenti
134. lappuse - Expenses for production of income, in the case of an individual, there shall be allowed as a deduction all the ordinary and necessary expenses paid or incurred during the taxable year — (1) For the production or collection of income; (2) For the management, conservation, or maintenance of property held for the production of income; or (3) In connection with the determination, collection, or refund of any tax § 1.212-1 Nontrade or nonbusiness expenses.
126. lappuse - Whether or not property is used by the taxpayer as his residence, and whether or not property is used by the taxpayer as his principal residence (in the case of a taxpayer using more than one property as a residence), depends upon all the facts and circumstances in each case, including the good faith of the taxpayer.
113. lappuse - The fair market value is the price at which the property would change hands between a willing buyer and a willing seller, neither being under any compulsion to buy or sell and both having reasonable knowledge of relevant facts.
153. lappuse - For any expense for gifts, unless the taxpayer substantiates by adequate records or by sufficient evidence corroborating his own statement (A) the amount of such expense or other item, (B) the time and place of the travel, entertainment, amusement, recreation, or use of the facility, or...
44. lappuse - There shall be allowed as a deduction any charitable contribution (as defined in subsection (c)) payment of which is made within the taxable year. A charitable contribution shall be allowable as a deduction only if verified under regulations prescribed by the Secretary or his delegate.
336. lappuse - Notary Public In and For County, Texas THE STATE OF TEXAS COUNTY OF BEFORE ME, the undersigned authority, on this day personally appeared , known to me to be the person whose name is subscribed to the foregoing instrument, and acknowledged to me that he executed the same for the purposes and consideration therein expressed.
56. lappuse - There must be a donor competent to make the gift, a clear and unmistakable intention on his part to make it, a donee capable of taking the gift, a conveyance, assignment, or transfer sufficient to vest the legal title in the donee, without power of revocation at the will of the donor, and a relinquishment of dominion and control of the subject matter of the gift by delivery to the donee.
136. lappuse - Expenses, to be deductible under section 212, must be "ordinary and necessary". Thus, such expenses must be reasonable in amount and must bear a reasonable and proximate relation to the production or collection of taxable income or to the management, conservation, or maintenance of property held for the production of income.
33. lappuse - When the Administrator of General Services considers it to be in the public interest he may accept, for and in the name of the United States, land, buildings, and equipment offered as a gift to the United States for the purposes of creating a Presidential archival depository, and take title to the land, buildings, and equipment on -behalf of the United States...
473. lappuse - Papers, documents, or other historical materials accepted and deposited under section 2111 of this title and this section are subject to restrictions as to their availability and use stated in writing by the donors or depositors, including the restriction that they shall be kept in a Presidential archival depository. The restrictions shall be respected for the period stated, or until revoked or terminated by the donors or depositors or by persons legally qualified to act on their behalf.