California Law Review, 31. sējumsSchool of Jurisprudence of the University of California, 1942 |
No grāmatas satura
1.3. rezultāts no 89.
284. lappuse
... United States who also reside here , have at all times since the inception of the income tax been taxable upon their entire net income , whether derived from domestic or foreign sources . With the exception of a limited exemption of ...
... United States who also reside here , have at all times since the inception of the income tax been taxable upon their entire net income , whether derived from domestic or foreign sources . With the exception of a limited exemption of ...
285. lappuse
... United States and having a gross income from United States sources of $ 15,400 or less . " Individuals in this class are taxable upon their gross income at a rate of thirty per cent . They are allowed no deduc- tions , personal ...
... United States and having a gross income from United States sources of $ 15,400 or less . " Individuals in this class are taxable upon their gross income at a rate of thirty per cent . They are allowed no deduc- tions , personal ...
406. lappuse
... United States with Japan . The 1854 treaty between them sought to prevent discrimination by Japan against United States citizens by providing ( Article VI ) that if at any future time Japan should grant other nations privileges and ...
... United States with Japan . The 1854 treaty between them sought to prevent discrimination by Japan against United States citizens by providing ( Article VI ) that if at any future time Japan should grant other nations privileges and ...
Saturs
THE DOCTORS FEDERAL TAXES Erwin N Griswold | 237 |
SHOULD PRETERMITTED Issue BE ENTITLED TO INHERIT? Perry Evans | 263 |
RATIONING AS A PROPER WARTIME GOVERNMENTAL FUNCTION Perry H Taft | 270 |
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administrative adopted amendment appears applied authority CALIF California California Supreme Court cause of action cited Civil Procedure claim closed shop Code of Civil common law community property constitutional contract corporation counterclaim decedent decision deduction defendant determine directed verdict divorce doctrine domicil easement effect employees equity estate tax exemption exercise existence fact federal ferae naturae foreign gift tax granted held Helvering Ibid income tax inference injunction interest issue Judge judgment judicial jurisdiction jury Justice L. A. DAILY L. A. Super land lease legislative ment norms Ohio Oil Co oil and gas opinion owner ownership parol evidence parties person picketing plaintiff presumption problem provision purpose question real property reason recognized residence result Revenue Act rule spouse statute stock dividend Superior Court Supp supra note supra note 12 Supreme Court taxable tion treaties trial union United Victory tax