Reports of the Tax Court of the United States, Volume 35U.S. Government Printing Office, 1961 - Taxation |
From inside the book
Results 1-5 of 100
Page 4
... capital gain of $ 9,722.32 , the sales price of $ 10,000 as reduced by a cost basis of $ 277.68 . On its balance sheet for the year ended July 31 , 1952 , petitioner included the cost basis for the lot under the category : " Lots held ...
... capital gain of $ 9,722.32 , the sales price of $ 10,000 as reduced by a cost basis of $ 277.68 . On its balance sheet for the year ended July 31 , 1952 , petitioner included the cost basis for the lot under the category : " Lots held ...
Page 13
... capital expenditures . " In that case , as here , the taxpayer made expenditures for the acquisi- tion of a television license , and we held such expenditures to be capital in nature . Petitioner does not deny that the fees were paid ...
... capital expenditures . " In that case , as here , the taxpayer made expenditures for the acquisi- tion of a television license , and we held such expenditures to be capital in nature . Petitioner does not deny that the fees were paid ...
Page 25
... capital assets . The respondent in the notice of deficiency determined that these profits constituted ordinary income . It has been stipulated that the petitioner erroneously omitted from his income for 1954 an amount of $ 2,480.61 ...
... capital assets . The respondent in the notice of deficiency determined that these profits constituted ordinary income . It has been stipulated that the petitioner erroneously omitted from his income for 1954 an amount of $ 2,480.61 ...
Page 31
... capital gains deduction before being applied as a deduction against 1953 income . Since petitioners ' capital gains deduction in 1953 amounted to $ 18,800 , which is in excess of the amount of the 1955 net operating loss , respondent ...
... capital gains deduction before being applied as a deduction against 1953 income . Since petitioners ' capital gains deduction in 1953 amounted to $ 18,800 , which is in excess of the amount of the 1955 net operating loss , respondent ...
Page 33
... capital gains . It follows that the net operating loss carryback of $ 5,106.20 from 1955 to 1953 must be reduced by the $ 18,800 long - term capital gains deduction used in computing petitioners ' 1953 net income , to SEC . 23 ...
... capital gains . It follows that the net operating loss carryback of $ 5,106.20 from 1955 to 1953 must be reduced by the $ 18,800 long - term capital gains deduction used in computing petitioners ' 1953 net income , to SEC . 23 ...
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Common terms and phrases
acquired Acuff agreed agreement allowed amount base period basis capital gain carryback cash cent claimed Cold Metal COMMISSIONER OF INTERNAL Company computed contends contract corporation cost Court Dairy Queen decedent decedent's December 29 December 31 deduction deficiency director of internal district director dividends Docket entitled excess profits tax expenses February 28 filed FINDINGS OF FACT follows gift Glenn Miller gross income held hereinafter included income tax return interest Internal Revenue Code issue January July June lease liability ment net income operating loss ordinary income paid parties partnership patent payment peti petitioner petitioner's prior production purchase purposes pursuant receipts received record record changer referred reported respect respondent determined respondent's Roy Acuff royalties sand and gravel sell shares sold statute stipulated stockholders supra taxable taxicab taxpayer thereof tion tioner trade or business transaction transfer trust United wife
Popular passages
Page 185 - capital assets' means property held by the taxpayer (whether or not connected with his trade or business), but does not include stock in trade of the taxpayer or other property of a kind which would properly be included in the inventory of the taxpayer if on hand at the close .of the taxable year, or property held by the taxpayer primarily for sale to customers in the ordinary course of his trade or business...
Page 4 - gross income" includes gains, profits, and income derived from salaries, wages, or compensation for personal service * * * of whatever kind and in whatever form paid, or from professions, vocations, trades, businesses, commerce, or sales, or dealings in property, whether real or personal, growing out of the ownership or use of or interest in such property; also from interest, rent, dividends, securities, or the transaction of any business carried on for gain or profit, or gains or profits and income...
Page 55 - ... (1) the possession or enjoyment of, or the right to the income from, the property, or (2) the right, either alone or in conjunction with any person, to designate the persons who shall possess or enjoy the property or the income therefrom; except in case of a bona fide sale for an adequate and full consideration in money or money's worth.
Page 241 - 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 249 - ... (b) Sales of Realty and Casual Sales of Personalty. — In the case (1) of a casual sale or other casual disposition of personal property (other than property of a kind which would properly be included in the inventory of the taxpayer if on hand at the close of the taxable year), for a price exceeding $1,000...
Page 220 - Losses," and subsections (a) and (c) of this section provide in pertinent part as follows: (a) General rule. There shall be allowed as a deduction any loss sustained during the taxable year and not compensated for by insurance or otherwise.
Page 372 - Indies, and which satisfies the following conditions: (1) if 95 percent or more of the gross income of such domestic corporation for the 3-year period immediately preceding the close of the taxable year (or for such part of such period...
Page 377 - INTEND. (1.) Where there is a contract to sell specific or ascertained goods, the property in them is transferred to the buyer at such time as the parties to the contract intend it to be transferred. (2.) For the purpose of ascertaining the intention of the parties, regard shall be had to the terms of the contract, the conduct of the parties, usages of trade and the circumstances of the case.
Page 515 - (a) There shall be allowed as a deduction (In lieu of the deduction for charitable, etc., contributions authorized by section 23 (n)) any part of the gross Income, without limitation, which pursuant to the terms of the will or deed creating the trust. Is during the taxable year...
Page 243 - Code and the regulations thereunder, a taxpayer who changes the method of accounting employed in keeping his books shall, before computing his income upon such new method for purposes of taxation, secure the consent of the Commissioner.