No grāmatas satura
1.3. rezultāts no 85.
473. lappuse
questions as to the possible residence status of the Puerto Rican corporation and the application of the phrase " income from sources within the United States are considered further below , particularly in connection with possible ...
questions as to the possible residence status of the Puerto Rican corporation and the application of the phrase " income from sources within the United States are considered further below , particularly in connection with possible ...
485. lappuse
tion of more than 20 per cent of gross income to sources within the United States as the place of sale . 86 2. Puerto Rican Corporation The dangers just discussed suggest that if the Puerto Rican products are to be consigned wholly ...
tion of more than 20 per cent of gross income to sources within the United States as the place of sale . 86 2. Puerto Rican Corporation The dangers just discussed suggest that if the Puerto Rican products are to be consigned wholly ...
486. lappuse
However , the exception clause of G.C.M. 25,131 is more likely , as a practical matter , to be raised against a domestic company which would file United States returns than against a Puerto Rican company which would file no such returns ...
However , the exception clause of G.C.M. 25,131 is more likely , as a practical matter , to be raised against a domestic company which would file United States returns than against a Puerto Rican company which would file no such returns ...
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Saturs
The Organization at the Field Level | 13 |
Day Letters p 19Appellate Division | 20 |
The Office of Chief Counsel in the Reorganized | 27 |
Autortiesības | |
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Citi izdevumi - Skatīt visu
The American University Tax Institute Lectures: Papers Presented ..., 1. sējums Fragmentu skats - 1946 |
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 |
Bieži izmantoti vārdi un frāzes
accounting affiliated allowed amount Appeals applied assets Assistant authority basis benefits Bureau capital cent claim Code Commissioner common considered consolidated returns contract contributions corporation cost Counsel debt decision deduction determined distribution dividend Division earnings effect employees established excess exemption existing fact factor Federal filed funds gain gross income held holding income tax individual interest Internal Revenue Internal Revenue Code investment involved issue lease limited liquidation loss ment method operating opinion paid parent partnership payments pension period possible preferred present principle prior problems profits Puerto Rican purchase question rates reasonable received regulations respect result retirement Rico rule securities separate shareholders shares sources stockholders subsidiary supra Tax Court taxable taxpayer term tion transaction transfer treated trust United