Federal Income Tax, War-profits and Excess-profits Taxes: Including Stamp Taxes, Capital Stock Tax, Tax on Employment of Child Labor, Tax on Undistributed ProfitsCallaghan, 1919 - 1023 lappuses |
No grāmatas satura
1.–5. rezultāts no 100.
18. lappuse
... owner be a citizen or resident or a non - resident alien or a foreign corporation or a domestic or foreign partnership . The only bondholders to which this provision does not apply are domestic and resident corporations . The ...
... owner be a citizen or resident or a non - resident alien or a foreign corporation or a domestic or foreign partnership . The only bondholders to which this provision does not apply are domestic and resident corporations . The ...
67. lappuse
... owner for a vessel operated between the United States and foreign ports , if the making of the charter contract grows out of no solicitation or similar commercial activity by the owner or his representative in person within the United ...
... owner for a vessel operated between the United States and foreign ports , if the making of the charter contract grows out of no solicitation or similar commercial activity by the owner or his representative in person within the United ...
87. lappuse
... owner of the income " or the proper representative having the receipt , custody , control or disposal of the same . " ' T. D. 2452 . 3 T. D. 2135 . 4 T. D. 2401. This was because a partnership was not itself subject to a tax or required ...
... owner of the income " or the proper representative having the receipt , custody , control or disposal of the same . " ' T. D. 2452 . 3 T. D. 2135 . 4 T. D. 2401. This was because a partnership was not itself subject to a tax or required ...
88. lappuse
... owner of such income , or the proper representative having the receipt , custody , control , or disposal of the same . " The rulings under the 1916 Law are stated below without attempting to indicate to what extent they may be ...
... owner of such income , or the proper representative having the receipt , custody , control , or disposal of the same . " The rulings under the 1916 Law are stated below without attempting to indicate to what extent they may be ...
94. lappuse
... owner , but if the actual owner is a non- resident alien individual , a resident nominal stockholder may be an agent in the sense in which that term is used in the preceding chapter . A nominal stockholder is not a withholding agent ...
... owner , but if the actual owner is a non- resident alien individual , a resident nominal stockholder may be an agent in the sense in which that term is used in the preceding chapter . A nominal stockholder is not a withholding agent ...
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accrued actual agent allowed amended apply assessed assets basis beneficiary bonds capital stock cash cent centum certificates Chapter citizens claim collected collector Commissioner computed contract cost court deduction depletion depreciation determined distributed domestic corporations exceed excess excess-profits taxes exempt expenses February 28 fiduciary file returns fiscal foreign corporation gross income held included income derived income tax indebtedness individual intangible property interest Internal Revenue invested capital issued Letter from Treasury liable Liberty Bond loss March ment non-resident alien normal tax obligations owner par value paragraph partnership pay the tax payment penalty period person personal-service corporation poration present law prior purchase purpose refund resident respect Revenue Act rule shares sources stamp statute stockholders subdivision surplus surtax tax imposed taxable taxpayer thereof tion trade or business transaction transfer Treasury Department dated United War Finance Corporation withholding