Reports of the U.S. Board of Tax Appeals, Volume 9U.S. Government Printing Office, 1929 - Taxation |
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Page 6
... respect to five of the properties , thus leav- ing only the Schermerhorn and Rockaway Avenue properties for consideration . As to the Schermerhorn property , we have found that it was acquired by the petitioner in 1915 when a customer ...
... respect to five of the properties , thus leav- ing only the Schermerhorn and Rockaway Avenue properties for consideration . As to the Schermerhorn property , we have found that it was acquired by the petitioner in 1915 when a customer ...
Page 8
... respect , and the reduction computed above of $ 197,248.50 does not take into account this item . To the extent , therefore , that depreciation allowed the petitioner for 1917 and sub- sequent years does not take into account this item ...
... respect , and the reduction computed above of $ 197,248.50 does not take into account this item . To the extent , therefore , that depreciation allowed the petitioner for 1917 and sub- sequent years does not take into account this item ...
Page 9
United States. Board of Tax Appeals. With respect to the reduction made in petitioner's surplus on ac- count of depreciation accrued on furniture and fixtures to January 1 , 1917 , in the amount of $ 34,207.99 , the evidence shows that ...
United States. Board of Tax Appeals. With respect to the reduction made in petitioner's surplus on ac- count of depreciation accrued on furniture and fixtures to January 1 , 1917 , in the amount of $ 34,207.99 , the evidence shows that ...
Page 19
... respect from those in the case at bar . Those businesses can not be said to require any less use of capital than the one in which the petitioner was engaged . The petitioner's total expenditures for the year were $ 607,404.78 . He was ...
... respect from those in the case at bar . Those businesses can not be said to require any less use of capital than the one in which the petitioner was engaged . The petitioner's total expenditures for the year were $ 607,404.78 . He was ...
Page 40
... respect to the bamboo and broom inventories and disallowed an alleged deduction of $ 1,000 for loss on the sale of real estate . In the latter part of June , 1919 , the petitioner caused an inventory to be made of its raw materials and ...
... respect to the bamboo and broom inventories and disallowed an alleged deduction of $ 1,000 for loss on the sale of real estate . In the latter part of June , 1919 , the petitioner caused an inventory to be made of its raw materials and ...
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additional agreement alleged allowed amount Appeal assessment assets Bank basis Board capital stock cash cent Centaur Company charged claim Coal COMMISSIONER OF INTERNAL Company computing contract Corning Glass corporation cost debt decedent December 23 December 31 deduction from gross deficiency in income Delaware Corporation depreciation determined disallowed dividends Docket earnings entered on 15 equipment evidence executors expenses February 28 filed FINDINGS OF FACT follows ganister gross income held included income and profits income tax income-tax return interest INTERNAL REVENUE invested capital issue January January 31 lease Lessee Lessor liability loss lumber manufacture March net income November 25 operation opinion paid par value parties partnership payment period peti petitioner petitioner's plant preferred stock prior profits taxes Promulgated December Promulgated November purchase question Railroad received redetermination respondent Revenue Act Rule 50 salaries shares sold statute stockholders taxable taxpayer thereof tion tioner trust