Federal Income Taxes, 1927A. W. Shaw, 1927 - 592 lappuses |
No grāmatas satura
1.5. rezultāts no 100.
7. lappuse
... held by a trustee for such purposes , to building and loan associations , to mutual sav- ings banks , or to mutual insurance companies . Corporations 1 Taxes are sometimes distinguished as being either direct or indirect . A direct tax ...
... held by a trustee for such purposes , to building and loan associations , to mutual sav- ings banks , or to mutual insurance companies . Corporations 1 Taxes are sometimes distinguished as being either direct or indirect . A direct tax ...
30. lappuse
... held by individuals . The property must have been held for more than two years , and in the case of non - taxable exchanges ( to be explained in subsequent chapters ) the " time held " may include the period in which the original ...
... held by individuals . The property must have been held for more than two years , and in the case of non - taxable exchanges ( to be explained in subsequent chapters ) the " time held " may include the period in which the original ...
47. lappuse
... held to have kept its accounts on an accrual basis where the books had been held open monthly to record payments of liabili- ties pertaining to that month ( A. R. R. 4802 ) . Income not determined until a later year has usually been ...
... held to have kept its accounts on an accrual basis where the books had been held open monthly to record payments of liabili- ties pertaining to that month ( A. R. R. 4802 ) . Income not determined until a later year has usually been ...
48. lappuse
... held by governmental authority ( O. D. 1046 , L. O. 1082 ; 1 B. T. A. 1149 ) , including the German Government , which had seized and operated a corporation's plant during the war ( S. R. 1996 ) . This rule apparently superseded the ...
... held by governmental authority ( O. D. 1046 , L. O. 1082 ; 1 B. T. A. 1149 ) , including the German Government , which had seized and operated a corporation's plant during the war ( S. R. 1996 ) . This rule apparently superseded the ...
53. lappuse
... held that the 1921 act does not permit its practice ( Westerfield v . Rafferty , 4 Fed . ( 2nd ) 590 ; T. D. 3667 ) . The cost of advertis- ing is not a carrying charge ( I. T. 2284 ) . Capital expenditures have included the cost of ...
... held that the 1921 act does not permit its practice ( Westerfield v . Rafferty , 4 Fed . ( 2nd ) 590 ; T. D. 3667 ) . The cost of advertis- ing is not a carrying charge ( I. T. 2284 ) . Capital expenditures have included the cost of ...
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Bieži izmantoti vārdi un frāzes
accrued acquired actually additional allowed amount applied assessment assets balance bank basis beneficiary Board bonds building cash charged claim collected Commissioner compensation computed contract corporation cost court debt December 31 deductible Department depreciation determined distribution dividend earned effect employees excess exchange exempt expenses fair Federal filed foreign Form fund gain gross held included income tax individual interest inventory invested capital issued January lease less limited Loan loss March market value method normal notes operating organization original paid partnership payable payment period permitted portion preferred prior profits purchased reasonable received regarded regulations reorganization reported reserve respect result rule salary securities selling shares sold sources stockholders subdivision surplus taken taxable taxable income taxpayer tion transaction trust United unless
Populāri fragmenti
479. lappuse - BASIS. (a) DEALERS IN PERSONAL PROPERTY. Under regulations prescribed by the Commissioner with the approval of the Secretary, a person who regularly sells or otherwise disposes of personal property on the installment plan may return as income therefrom in any taxable year that proportion of the installment payments actually received in that year which the gross profit realized or to be realized when payment is completed, bears to the total contract price.
466. lappuse - As used in this section the term " control " means the ownership of at least 80 per centum of the voting stock and at least 80 per centum of the total number of shares of all other classes of stock of the corporation.
561. lappuse - person" as used in this section includes an officer or employee of a corporation or a member or employee of a partnership, who as such officer, employee, or member is under a duty to perform the act in respect of which the violation occurs.
464. lappuse - ... has the effect of the distribution of a taxable dividend, then there shall be taxed as a dividend to each distributee such an amount of the gain recognized under paragraph (1) as is not in excess of his ratable share of the undistributed earnings and profits of the corporation accumulated after February 28, 1913. The remainder, if any, of the gain recognized under paragraph (1) shall be taxed as a gain from the exchange of property.
555. lappuse - The amount so added to any tax shall be collected at the same time and in the same manner and as a part of the tax unless the tax has been paid before the discovery of the neglect, falsity, or fraud, in which case the amount so added shall be collected in the same manner as the tax.
560. lappuse - Any person who willfully fails to pay, collect, or truthfully account for and pay over, any tax imposed by Titles IV, V, VI, VII, VIII, and IX, or willfully attempts in any manner to evade or defeat any such tax or the payment thereof...
486. lappuse - In the case of a nonresident alien individual the deductions shall be allowed only if and to the extent that they are connected with income from sources within the United States...
518. lappuse - All persons, in whatever capacity acting, including lessees or mortgagors of real or personal property, fiduciaries, and employers...
498. lappuse - If accrued taxes when paid differ from the amounts claimed as credits by the taxpayer, or if any tax paid is refunded in whole or in part, the taxpayer shall notify the Commissioner, who shall redetermine the amount of the tax for the year or years affected...
469. lappuse - Whenever in the opinion of the Commissioner the use of inventories is necessary In order clearly to determine the Income of any taxpayer, inventories shall be taken by such taxpayer upon such basis as the Commissioner, with the approval of the Secretary, may prescribe as conforming as nearly as may be to the best accounting practice In the trade or business and as most clearly reflecting the income.