The American University Tax Institute Lectures: Papers Presented to the Institutes on Federal Taxes ..., 2. sējumsM. Bender, 1949 |
No grāmatas satura
1.–3. rezultāts no 17.
329. lappuse
... authority in such managing partners only for the time being , since the partnership may be terminated at the will of any partner . A like provision in a group , pool , or syndicate agree- ment may obtain centralization of management in ...
... authority in such managing partners only for the time being , since the partnership may be terminated at the will of any partner . A like provision in a group , pool , or syndicate agree- ment may obtain centralization of management in ...
362. lappuse
... authority holds that " It is imma- terial that [ the taxpayer ] was required to defend the title long after the ... authorities , it is clear that the Second Circuit now accepts the rule that the cost of defending title is nondeductible ...
... authority holds that " It is imma- terial that [ the taxpayer ] was required to defend the title long after the ... authorities , it is clear that the Second Circuit now accepts the rule that the cost of defending title is nondeductible ...
385. lappuse
... authorities or the Courts , on grounds of public policy , extend the rule so as to deny the deduction of what are , by ... authority given by Congress to the President in the Stabilization Act of 1942 , ordered the disallowance of the ...
... authorities or the Courts , on grounds of public policy , extend the rule so as to deny the deduction of what are , by ... authority given by Congress to the President in the Stabilization Act of 1942 , ordered the disallowance of the ...
Saturs
The General View | 3 |
The Income Tax ProvisionsBasic Considerations | 11 |
The Income Splitting Provisions | 25 |
Autortiesības | |
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The American University Tax Institute Lectures: Papers Presented ..., 1. sējums Fragmentu skats - 1946 |
The American University Tax Institute Lectures: Papers Presented ..., 5. sējums Fragmentu skats - 1953 |
The American University Tax Institute Lectures: Papers Presented ..., 3. sējums Fragmentu skats - 1951 |
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adjusted gross estate aff'd allowed amendments amount annuity application assets association Bazley beneficiaries benefit bequest business purpose capital cert Comm'r Commissioner Committee common law community property computing considered contributions corporation corpus cost Court of Claims decedent decision determining disallowed duction effect employees entire interest equalization erty estate and gift estate planning estate tax executor exemption Federal fee simple filed fund gift tax held Helvering husband included income splitting income tax insurance company interest in property Internal Revenue Code joint return marital deduction ment nondeductible one-half paid partnership payable payment pension plan person power to appoint preferred stock prior proceeds profit-sharing plan prop regulations reorganization result Revenue Act rule Senate Report settlement spouse's statute statutory supra note Supreme Court surviving spouse Tax Court taxable taxpayer terminable interest tion transfer Treasury trust trust instrument United viving spouse wife