Reports of the Tax Court of the United States, Volume 30U.S. Government Printing Office, 1959 - Law reports, digests, etc |
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Results 1-5 of 100
Page 41
... period net income determined . Mason G. Kassel , Esq . , and Ira T. Wender , Esq . , for the petitioner . Maurice S. Bush , Esq . , for the respondent . TIETJENS , Judge : The Commissioner denied petitioner's claims for excess profits ...
... period net income determined . Mason G. Kassel , Esq . , and Ira T. Wender , Esq . , for the petitioner . Maurice S. Bush , Esq . , for the respondent . TIETJENS , Judge : The Commissioner denied petitioner's claims for excess profits ...
Page 45
... period was used by Philip Morris & Co. , Axton - Fisher , and Stephano Bros. in their 10 - cent brands of cigarettes . Prior to World War II , Reynolds purchased its cigarette paper from the Papeteries Rene Bollore paper mill of France ...
... period was used by Philip Morris & Co. , Axton - Fisher , and Stephano Bros. in their 10 - cent brands of cigarettes . Prior to World War II , Reynolds purchased its cigarette paper from the Papeteries Rene Bollore paper mill of France ...
Page 56
... period years applicable in determining petitioner's excess profits credit for 1940 ; the aggregate thereof ; and the average base period net income computed with and without the application of section 713 ( f ) ; all of which have been ...
... period years applicable in determining petitioner's excess profits credit for 1940 ; the aggregate thereof ; and the average base period net income computed with and without the application of section 713 ( f ) ; all of which have been ...
Page 57
... period years applicable in deter- mining petitioner's excess profits credit for 1941 , 1942 , and 1943 ; the aggregate thereof ; and the average base period net income computed with and without the application of section 713 ( f ) ; all ...
... period years applicable in deter- mining petitioner's excess profits credit for 1941 , 1942 , and 1943 ; the aggregate thereof ; and the average base period net income computed with and without the application of section 713 ( f ) ; all ...
Page 58
... period net income for the purpose of computing its excess profits credit is $ 330,000 . The con- structive average base period net income for the year 1940 is reduced to $ 240,000 to reflect the application of the variable credit rule ...
... period net income for the purpose of computing its excess profits credit is $ 330,000 . The con- structive average base period net income for the year 1940 is reduced to $ 240,000 to reflect the application of the variable credit rule ...
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Common terms and phrases
acquired additional agreed agreement Allis Corporation allowed amount assets bank base period basis Bausch & Lomb beneficiary bonds capital gain cash cent cigarette paper claimed common stock Company computing contract cost Court debts decedent December 31 deduction deficiency depreciation directors distribution dividends Docket earnings employees entitled excess profits tax expenses Federal filed FINDINGS OF FACT follows franchise gross income held hereinafter Hoguet income tax income tax return installment interest Internal Revenue Code issue J. I. Morgan January lease liability loan ment mill mortgage net income ordinary income paid parties payable payments peti petitioner petitioner's preferred stock prior production pulp purchase purposes pursuant quartzite received rental respect respondent determined respondent's Riggs section 23 sell shareholders shares sold stipulated stockholders supra taxable taxpayer tion tioner trade or business transaction transfer Trianon trust trust instrument United wife
Popular passages
Page 128 - All other property acquired after marriage by either husband or wife, or both, including real property situated in this state, and personal property wherever situated, heretofore or hereafter, acquired while domiciled elsewhere, which would not have been the separate property of either if acquired while domiciled in this state, is community property...
Page 312 - In the case of mines, oil and gas wells, other natural deposits, and timber, a reasonable allowance for depletion and for depreciation of improvements, according to the peculiar conditions in each case...
Page 939 - For purposes of this section, the term "collapsible corporation" means a corporation formed or availed of principally for the manufacture, construction, or production of property, for the purchase of property which (In the hands of the corporation) is...
Page 228 - An exemption of $50,000; (b) In the case of a nonresident, by deducting from the value of that part of his gross estate which at the time of his death is situated in the United States...
Page 312 - In the case of property held in trust, the allowable deduction shall be apportioned between the income beneficiaries and the trustee in accordance with the pertinent provisions of the instrument creating the trust, or, in the absence of such provisions, on the basis of the trust income allocable to each.
Page 30 - permanent establishment" when used with respect to an enterprise of one of the contracting parties means a branch, management, factory or other fixed place of business, but does not include an agency unless the agent has, and habitually exercises, a general authority to negotiate and conclude contracts on behalf of such enterprise or has a stock of merchandise from which he regularly fills orders on its behalf.
Page 528 - If a corporation cancels or redeems its stock (whether or not such stock was issued as a stock dividend) at such time and in such manner as to make the distribution and cancellation or redemption in whole or in part essentially equivalent to the distribution of a taxable dividend...
Page 597 - 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 372 - ... such timber, and the adjusted depletion basis thereof, shall be considered as though it were a gain or loss, as the case may be, on the sale of such timber.
Page 693 - The liability, at law or in equity, of a transferee of property of a taxpayer, in respect of the tax (including interest, additional amounts, and additions to the tax provided by law) imposed upon the taxpayer by this title or by any prior income, excess-profits, or war-profits tax Act.