Reports of the Tax Court of the United States, Volume 54U.S. Government Printing Office, 1970 - Taxation |
From inside the book
Results 1-5 of 100
Page 113
... residence at the time their petitions were filed was London , England . Pettus filed gift tax returns for 1959 through 1964 , and June filed a gift tax return for 1964 , with the district director of internal revenue , St. Louis , Mo ...
... residence at the time their petitions were filed was London , England . Pettus filed gift tax returns for 1959 through 1964 , and June filed a gift tax return for 1964 , with the district director of internal revenue , St. Louis , Mo ...
Page 173
... residence located at 1819 Oakton Street , Evanston , Ill . ( hereinafter referred to as the Oakton Street property ) , on August 26 , 1965. The purchase price of the Oakton Street property was $ 32,500 . Petitioner moved into and used ...
... residence located at 1819 Oakton Street , Evanston , Ill . ( hereinafter referred to as the Oakton Street property ) , on August 26 , 1965. The purchase price of the Oakton Street property was $ 32,500 . Petitioner moved into and used ...
Page 174
... RESIDENCE . ( a ) NONRECOGNITION OF GAIN . - If property ( in this section called " old residence " ) used by the taxpayer as his principal residence is sold by him after December 31 , 1953 , and , within a period beginning 1 year ...
... RESIDENCE . ( a ) NONRECOGNITION OF GAIN . - If property ( in this section called " old residence " ) used by the taxpayer as his principal residence is sold by him after December 31 , 1953 , and , within a period beginning 1 year ...
Page 175
... residence either because of a change in employment or an increase in family size . Very often the " gain " upon sale is an inflationary one , and mere replacement of the residence will require using all of the proceeds from the old ...
... residence either because of a change in employment or an increase in family size . Very often the " gain " upon sale is an inflationary one , and mere replacement of the residence will require using all of the proceeds from the old ...
Page 176
... residences . Under the circumstances we find it unnecessary to determine for Federal tax purposes whether the entity was a trust or a partnership . What matters is that property which was a residence in petitioner's hands was business ...
... residences . Under the circumstances we find it unnecessary to determine for Federal tax purposes whether the entity was a trust or a partnership . What matters is that property which was a residence in petitioner's hands was business ...
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Common terms and phrases
acquired agreed agreement amount apply assets beneficiary Blairsville carryback cash certiorari Cicio claimed collateral estoppel Commissioner community property contract corporation cost Court Daisy Daisy's death decedent decedent's December 31 decision deduction director of internal distribution distributors district director dividend Dredging Dri-Powr election employees entitled estate tax expenses facts Federal income tax filed follows funds GIAI gift gift tax gross estate gross income held hereinafter Income Tax Regs income tax returns interest Internal Revenue Code Internal Revenue Service issue lease lessee liability liquidation loan loss marital deduction Medco ment MGIC operating option paid parties partnership payment percent peti petitioner petitioner's premium prior purchase purposes pursuant received redemption regulations respect Respondent determined RESPONDENT Docket respondent's September 30 shareholders shares stipulated supra taxable taxpayer testamentary trust tion tioner transaction transfer trust trust instrument United wife
Popular passages
Page 198 - Except as otherwise provided in this contract, any dispute concerning a question of fact arising under this contract which is not disposed of by agreement shall be decided by the Contracting Officer, who shall reduce his decision to writing and mail or otherwise furnish a copy thereof to the Contractor.
Page 301 - Transferred assets — (a) Method of collection. The amounts of the following liabilities shall, except as hereinafter in this section provided, be assessed, paid, and collected in the same manner and subject to the same provisions and limitations as in the case of the taxes with respect to which the liabilities were incurred: (1) Income, estate, and gift taxes — (A) Transferees.
Page 585 - ... under a decree of divorce or of separate maintenance, the wife's gross Income includes periodic payments (whether or not made at regular intervals) received after such decree in discharge of (or attributable to property transferred, in trust or otherwise, in discharge of) a legal obligation which, because of the marital or family relationship, is imposed on or incurred by the husband under the decree or under a written instrument Incident to such divorce or separation.
Page 75 - ... who were shareholders immediately before the transfer), or any combination thereof, is in control of the corporation to which the assets are transferred; but only if, in pursuance of the plan, stock or securities of the corporation to which the assets are transferred are distributed in a transaction which qualifies under section 354, 355, or 356; (E) A recapitalization; or (F) A mere change in identity, form, or place of organization, however effected.
Page 614 - No gain or loss shall be recognized if stock or securities in a corporation a party to a reorganization are, in pursuance of the plan of reorganization, exchanged solely for stock or securities in such corporation or in another corporation a party to the reorganization.
Page 939 - General rule for methods of accounting — (a) General rule. Taxable income shall be computed under the method of accounting on the basis of which the taxpayer regularly computes his income in keeping his books. (b) Exceptions. If no method of accounting has been regularly used by the taxpayer, or if the method used does not clearly reflect income, the computation of taxable income shall be made under such method as, in the opinion of the Secretary or his delegate, does clearly reflect income.
Page 76 - A transfer by a corporation of all or a part of its assets to another corporation if immediately after the transfer the transferor, or one or more of its shareholders (including persons who were shareholders immediately before the transfer), or any combination thereof, is in control of the corporation to which the assets are transferred...
Page 585 - Is divorced or legally separated from her husband under a decree of divorce or of separate maintenance...
Page 296 - If the taxpayer omits from gross income an amount properly includible therein which is in excess of 25 percent of the amount of gross income stated in the return, the tax may be assessed, or a proceeding in court for the collection of such tax may be begun without assessment, at any time within 6 years after the return was filed. For purposes of this subparagraph — (i) In the case of a trade or business, the term "gross income...
Page 837 - ... in discharge of, a legal obligation which, because of the marital or family relationship, is imposed upon or incurred by such husband under such decree or under a written instrument incident to such divorce or separation...