American Federal Tax Reports, Volume 1Prentice-Hall, 1924 - Taxation |
From inside the book
Results 1-5 of 100
Page 24
... referred to , and having been left to our decision , we award the buyer the following allowance for in- feriority of quality , payable within seven days : 500 lbs . On the sound portion of the cargo 2 p . p . On abt . 88 tons country ...
... referred to , and having been left to our decision , we award the buyer the following allowance for in- feriority of quality , payable within seven days : 500 lbs . On the sound portion of the cargo 2 p . p . On abt . 88 tons country ...
Page 31
... referred to was made out . The order of the court made upon the passing of the assignee's final account was not an adjudication in favor of the defendant that the $ 32,000 paid out by him before the government proved its claim in bank ...
... referred to was made out . The order of the court made upon the passing of the assignee's final account was not an adjudication in favor of the defendant that the $ 32,000 paid out by him before the government proved its claim in bank ...
Page 32
... referred to , -it is diffi- cult to see upon what principle their omission to do so can be deemed the foundation of a waiver or estoppel . It may seem unjust that the government should stand by while the estate of its insolvent debtor ...
... referred to , -it is diffi- cult to see upon what principle their omission to do so can be deemed the foundation of a waiver or estoppel . It may seem unjust that the government should stand by while the estate of its insolvent debtor ...
Page 45
... referred to . The assessment was paid under protest on March 21 , 1898. An application was made to have the same refunded , but the application was rejected . Therefore on June 22 , 1898 , this suit was begun as already stated . The ...
... referred to . The assessment was paid under protest on March 21 , 1898. An application was made to have the same refunded , but the application was rejected . Therefore on June 22 , 1898 , this suit was begun as already stated . The ...
Page 56
... referred by the counsel for the government , by way of an authority , to a letter emanating from Internal Revenue Commissioner Scott ( 1 Synopsis of Decisions Treas . Dept. vol . 1 , p . 647 ) . The letter relates to a subject - matter ...
... referred by the counsel for the government , by way of an authority , to a letter emanating from Internal Revenue Commissioner Scott ( 1 Synopsis of Decisions Treas . Dept. vol . 1 , p . 647 ) . The letter relates to a subject - matter ...
Other editions - View all
Common terms and phrases
36 Stat accrued Act Aug action amended amount applied assessed assets association attorney authority bank bonds capital stock Cent centum Circuit Court Circuit Judge claim collected Collector of Internal Commissioner of Internal Connecticut contract Corporation Tax December 31 deduction defendant Digests & Indexes District Court dividends fact franchise funds gross income Gulf Oil Corporation held income tax insurance company interest Internal Revenue joint-stock company judgment June 13 Key-Numbered Digests lease lessee lessor company liability loan McCoach ment mortgage net income operation organized paid pany payment plaintiff in error poration premiums profits Public Service Railway purchase purpose question Railroad Company Railway Company real estate receipts received recover revenue stamp shares statute stockholders suit surplus tax imposed Tax Law taxable taxation thereof tion topic & KEY-NUMBER trust U. S. Atty U. S. Comp United