Reports of the U.S. Board of Tax Appeals, Volume 1U.S. Government Printing Office, 1926 - Taxation |
From inside the book
Results 1-5 of 100
Page 6
... operation of its business . " The company paid the salary of a welfare worker , who operated through and in the name of the church among the employees of the company . The testimony showed that the officers of the corporation believed ...
... operation of its business . " The company paid the salary of a welfare worker , who operated through and in the name of the church among the employees of the company . The testimony showed that the officers of the corporation believed ...
Page 8
... operation of its business . " The company paid the salary of a welfare worker , who operated through and in the name of the church among the employees of the company . The testimony showed that the officers of the corporation believed ...
... operation of its business . " The company paid the salary of a welfare worker , who operated through and in the name of the church among the employees of the company . The testimony showed that the officers of the corporation believed ...
Page 11
... operation of a business regu- larly carried on by the taxpayer . Submitted September 12 , 1924 ; decided October 3 , 1924 . No appearance for the taxpayer . Willis D. Nance , Esq . ( Nelson T. Hartson , Solicitor of Internal Revenue ) ...
... operation of a business regu- larly carried on by the taxpayer . Submitted September 12 , 1924 ; decided October 3 , 1924 . No appearance for the taxpayer . Willis D. Nance , Esq . ( Nelson T. Hartson , Solicitor of Internal Revenue ) ...
Page 11
... operation of a trade or business but from a trade or busi- ness regularly carried on . A trade or business regularly carried on must be held to mean a vocation and not occasional or isolated trans- actions . The loss in this case was ...
... operation of a trade or business but from a trade or busi- ness regularly carried on . A trade or business regularly carried on must be held to mean a vocation and not occasional or isolated trans- actions . The loss in this case was ...
Page 38
... Board : That the amount of the deficiency in question is $ 365.98 ; that the Carroll Chain Co. was organized and began business operations in November , 1921 ; that it operated on a fiscal 38 ( 32 ) 1 U. S. BOARD OF TAX APPEALS REPORTS .
... Board : That the amount of the deficiency in question is $ 365.98 ; that the Carroll Chain Co. was organized and began business operations in November , 1921 ; that it operated on a fiscal 38 ( 32 ) 1 U. S. BOARD OF TAX APPEALS REPORTS .
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Common terms and phrases
accrued agreement alleged allowed amount appeal assessment assets Bank Board books of account building calendar capital stock cash cent Central Trust Co charged claimed Coal Commissioner is approved Company computed contract corporation cost debt December 31 decided January DECISION deduction from gross deficiency in tax deficiency letter depreciation determination disallowed discount dividends Docket entitled evidence expenses February 28 filed FINDINGS OF FACT fiscal year ended following FINDINGS GRAUPNER gross income Hartson income and profits income tax income-tax return interest Internal Revenue inventory invested capital issued January 22 January 31 lease liability LITTLETON loss March Nelson net income October 31 opinion paid par value parties partnership patents payer payment period petition preferred stock prior profits taxes purchase question received Revenue Act salary Solicitor of Internal statute STERNHAGEN stockholders tax return taxable taxpayer thereof tion TRUSSELL trust Winthrop Ames
Popular passages
Page 161 - States to divulge or to make known in any manner whatever not provided by law to any person the operations, style of work, or apparatus of any manufacturer or producer visited by him in the discharge of his official duties...
Page 441 - Income may be defined as the gain derived from capital, from labor, or from both combined," provided it be understood to include profit gained through a sale or conversion of capital assets, to which it was applied in the Doyle Case (pp.
Page 471 - ... (1) income accumulated in trust for the benefit of unborn or unascertained persons or persons with contingent interests, and income accumulated or held for future distribution under the terms of the will or trust...
Page 428 - If in the case of any taxpayer, the Commissioner determines that there is a deficiency...
Page 507 - The net income shall be computed upon the basis of the taxpayer's annual accounting period (fiscal year or calendar year, as the case may be) in accordance with the method of accounting regularly employed in keeping the books of such taxpayer; but if no such method of accounting has been so employed, or if the method employed does not clearly reflect the income...
Page 472 - ... there shall be allowed as an additional deduction in computing the net income of the estate or trust the amount of the income of the estate or trust for its taxable year, which is properly paid or credited during such year to any legatee, heir, or beneficiary...
Page 507 - The amount of all such items shall be included in the gross income for the taxable year in which received by the taxpayer, unless, under methods of accounting permitted under subdivision (b) of section 212, any such amounts are to be properly accounted for as of a different period.
Page 338 - A word is not a crystal, transparent and unchanged; it is the skin of a living thought and may vary greatly in color and content according to the circumstances and the time in which it is used.
Page 458 - An amount equal to the value of any property (A) forming a part of the gross estate situated in the United States of any person who died within five years prior to the death of the decedent...
Page 134 - It is essential to just construction that many words which import something excessive should be understood in a more mitigated sense — in that sense which common usage justifies. The word ' necessary