Federal Income Tax: Including Tax on Undistributed Net Income, Capital Stock Tax, and War Excess Profits TaxCallaghan, 1917 - 658 lappuses |
No grāmatas satura
1.5. rezultāts no 90.
12. lappuse
... domestic or foreign , and to all amounts of income no matter how large or how small , except that for the pur- pose of computing the amount of net income under the 1917 Law dividends received by one corporation on the stock of another ...
... domestic or foreign , and to all amounts of income no matter how large or how small , except that for the pur- pose of computing the amount of net income under the 1917 Law dividends received by one corporation on the stock of another ...
36. lappuse
... the law . The dividends intended to be included in this provision of the law are 21 See Chapter 27 . 22 Act of Sept. 8 , 1916 , as amended , § 5 . apparently those of domestic corporations and also those of foreign 36 FEDERAL INCOME TAX.
... the law . The dividends intended to be included in this provision of the law are 21 See Chapter 27 . 22 Act of Sept. 8 , 1916 , as amended , § 5 . apparently those of domestic corporations and also those of foreign 36 FEDERAL INCOME TAX.
37. lappuse
... domestic corporations and also those of foreign corporations , if the foreign corporation is within this country and is taxable upon its net income . The amount of such dividends is deductible only for the purpose of assessing the ...
... domestic corporations and also those of foreign corporations , if the foreign corporation is within this country and is taxable upon its net income . The amount of such dividends is deductible only for the purpose of assessing the ...
43. lappuse
... domestic corporations , but on March 21 , 1916 the Treasury Department reversed this holding and thereafter claimed the tax from non - resident aliens on the classes of income in question . T. D. 2313. In DeGanay v . Lederer , 239 Fed ...
... domestic corporations , but on March 21 , 1916 the Treasury Department reversed this holding and thereafter claimed the tax from non - resident aliens on the classes of income in question . T. D. 2313. In DeGanay v . Lederer , 239 Fed ...
46. lappuse
... domestic.15 INTEREST . Non - resident aliens are taxable on all in- terest on bonds , notes or other interest - bearing obliga- tions of residents in this country whether the debtor is a corporation , partnership , or an individual ...
... domestic.15 INTEREST . Non - resident aliens are taxable on all in- terest on bonds , notes or other interest - bearing obliga- tions of residents in this country whether the debtor is a corporation , partnership , or an individual ...
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accrued Act of October Act of September actual cash value allowed amended amount annual net income apply ascer ascertained assessed assets bank beneficiary bonds business or trade calendar capital stock centum certificates Chapter claim collection collector Commissioner of Internal computing cost court deduction depletion depreciation determined distributed district dividends domestic corporations earnings exceed excess profits tax exempt expenses fiduciary file a return fiscal foreign corporations foreign partnership gross income held income derived income received indebtedness individual insurance company intangible property interest paid Internal Revenue invested capital joint-stock company lessee Letter from Treasury liable loss ment nineteen hundred non-resident alien normal tax par value pay the tax payment penalty person place of business poration premiums profits provisions purchase purpose receipts reported return of annual rules shares statute subdivision supertax surplus tax imposed taxable taxpayer thereof tion transaction Treasury Department dated United