Reports of the U.S. Board of Tax Appeals, Volume 12U.S. Government Printing Office, 1929 - Taxation |
From inside the book
Results 1-5 of 100
Page 13
... deficiency . Such pay- ment was applied by the Commissioner in his determination of the deficiency in this proceeding . Alfred Gfeller , Esq . , for the petitioner . J. E. Marshall , Esq . , for the respondent . This is an appeal from ...
... deficiency . Such pay- ment was applied by the Commissioner in his determination of the deficiency in this proceeding . Alfred Gfeller , Esq . , for the petitioner . J. E. Marshall , Esq . , for the respondent . This is an appeal from ...
Page 17
... deficiency for the year in question . An examination of the record discloses , however , that the Commissioner has properly applied this item . Based upon the return , without consideration of any payment , there was a deficiency for ...
... deficiency for the year in question . An examination of the record discloses , however , that the Commissioner has properly applied this item . Based upon the return , without consideration of any payment , there was a deficiency for ...
Page 59
... deficiency letters were mailed to the petitioners after the pas- sage of the Revenue Act of 1926. The first hearing ... deficiencies set out above . The petitioners have offered no proof except for the year 1920 , for which year they ...
... deficiency letters were mailed to the petitioners after the pas- sage of the Revenue Act of 1926. The first hearing ... deficiencies set out above . The petitioners have offered no proof except for the year 1920 , for which year they ...
Page 70
... deficiency letter dated September 28 , 1925 , should be decreased by $ 131,930.22 , and that the depletion allowance for 1917 as shown by said deficiency letter should be reduced by $ 11,224 , that the invested capital for 1918 and 1919 ...
... deficiency letter dated September 28 , 1925 , should be decreased by $ 131,930.22 , and that the depletion allowance for 1917 as shown by said deficiency letter should be reduced by $ 11,224 , that the invested capital for 1918 and 1919 ...
Page 97
... deficiency assessment of $ 93,713.26 , no portion of the deficiency assessed in March , 1923 , has been paid . OPINION . LITTLETON : The claim of petitioner that the collection of the addi- tional tax claimed by the Commissioner for the ...
... deficiency assessment of $ 93,713.26 , no portion of the deficiency assessed in March , 1923 , has been paid . OPINION . LITTLETON : The claim of petitioner that the collection of the addi- tional tax claimed by the Commissioner for the ...
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Common terms and phrases
acquired agreement alleged amount assessment assets Bank basis Board bonds Boston Elevated Railway calendar capital stock cash cent claim COMMISSIONER OF INTERNAL Company computing consolidated contract corporation cost court December 31 deduction deficiency in income depletion depreciation determined dividends Docket Donaldson Co earnings entered under Rule evidence fair market value February filed FINDINGS OF FACT follows gross income included income and profits income tax interest INTERNAL REVENUE inventory invested capital issued James Couzens January January 31 Julius Rosenwald June 15 lease loans loss March March 11 mortgage net income operation opinion paid par value parties partnership payable payment peti petitioner petitioner's preferred stock prior proceeding profits taxes Promulgated June purchase Realty received redetermination respect Revenue Act Robert Whittaker Rosenwald Fund Rule 50 sold statute stockholders taxable taxpayer thereof tion tioner transferred Trust Western Maryland Railway
Popular passages
Page 563 - A conveyance by a partner of his interest in the partnership does not of itself dissolve the partnership, nor, as against the other partners in the absence of agreement, entitle the assignee, during the continuance of the partnership, to interfere in the management or administration of the partnership business or affairs...
Page 571 - The value of the gross estate of the decedent shall be determined by including the value at the time of his death...
Page 131 - ... shall be a lien in favor of the United States upon all property and rights to property, whether real or personal, belonging to such person.
Page 668 - In the case of a taxpayer engaged in a trade or business in which both personal services and capital are material income-producing factors...
Page 977 - 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 11, any such amounts are to be properly accounted for as of a different period.
Page 128 - ... (a) Method of collection. The amounts of the following liabilities shall, except as hereinafter in this section provided, be assessed, collected, and paid in the same manner and subject to the same provisions and limitations as in the case of a deficiency in a tax imposed by this...
Page 532 - The amount of all items of gross income shall be included in the gross income for the taxable year in which received by the taxpayer, unless, under methods of accounting permitted under section 41, any such amounts are to be properly accounted for as of a different period.
Page 783 - Where before the expiration of the time prescribed in section 275 for the assessment of the tax, both the Commissioner and the taxpayer have consented in writing to its assessment after such time, the tax may be assessed at any time prior to the expiration of the period agreed upon.
Page 391 - Debts ascertained to be worthless and charged off within the taxable year (or, in the discretion of the Commissioner, a reasonable addition to a reserve for bad debts) ; and when satisfied that a debt is recoverable only in part, the Commissioner may allow such debt, in an amount not in excess of the part charged off within the taxable year, as a deduction.
Page 727 - 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...