U.S. Tax Cases, Volume 99, Issue 2Commerce Clearing House, 2000 - Income tax 1935-42 decisions originally reported currently in the Standard federal tax service, and 1941-42 also in the Federal estate and gift tax service, and 19 - in the Federal excise tax reports. |
From inside the book
Results 1-3 of 75
Page 89-678
... deductions rather than take a stan- dard deduction . 26 U.S.C. ยง 63. However , a tax- payer must elect to take itemized deductions ; the Code specifies that " [ u ] nless an individual makes an election under this subsection for the ...
... deductions rather than take a stan- dard deduction . 26 U.S.C. ยง 63. However , a tax- payer must elect to take itemized deductions ; the Code specifies that " [ u ] nless an individual makes an election under this subsection for the ...
Page 90-71
... deductions , the opinion stated that , in order to demonstrate that the processing allowance effectively compensates for the dis- allowed deductions , the plaintiff would have to compare the processing allowance for the years in ...
... deductions , the opinion stated that , in order to demonstrate that the processing allowance effectively compensates for the dis- allowed deductions , the plaintiff would have to compare the processing allowance for the years in ...
Page 90-72
... deductions ( i.e. the Cana- dian processing allowance and the American percentage depletion , interest and royalties ) , but rather whether the Canadian deduction " is likely to produce an amount that approxi- mates , or is greater than ...
... deductions ( i.e. the Cana- dian processing allowance and the American percentage depletion , interest and royalties ) , but rather whether the Canadian deduction " is likely to produce an amount that approxi- mates , or is greater than ...
Contents
Quraishi Sultan DCConn | 20 |
Citation CrossReference Table | 21 |
Stone Container Savannah River Pulp Paper Ct Internatl Trade 991 USTC 70107 | 89-7 |
Copyright | |
48 other sections not shown
Other editions - View all
Common terms and phrases
9th Cir action affirm agreement alleged amended amount appeal argues argument Arnold assets Attorney Avis Back reference Bank bankruptcy court carryback Cartwright Circuit Judges Code Sec collection Commissioner conclusion corporation Cotler creditors crude oil debt debtor decision deductions Defendant deficiency delay damages determination discharge employees Entenmann's entitled evidence expenses fact federal tax lien filed fraud fraudulent conveyance government's income tax innocent spouse interest Internal Revenue Code Internal Revenue Service IRS's issue jeopardy assessment jurisdiction levy ment motion for summary motion to dismiss Nahama paid parties payments penalty petition petitioners Plaintiff pro se profit pursuant reasons record refund claim Robert Robert Arnold Rule sand oil shareholder sovereign immunity spendthrift trust statute of limitations summary judgment summons Supp Tax Court tax liability tax lien taxable taxpayer tion trial trust U.S. Branch U.S. Court U.S. Tax United unpub USTC