Revenue Revisions, 1947-48. Hearings..., Eightieth Congress, First Session, on Proposed Revision of the Internal Revenue Code, Pt. 4, Part 4U.S. Government Printing Office, 1948 |
From inside the book
Results 1-5 of 100
Page 1894
... funds being allocated to their account for the funds to be considered non- taxable patronage dividends to the cooperatives ? Mr. WIGGINS . I would think that that would depend upon the bylaws of the association . I know of no legal ...
... funds being allocated to their account for the funds to be considered non- taxable patronage dividends to the cooperatives ? Mr. WIGGINS . I would think that that would depend upon the bylaws of the association . I know of no legal ...
Page 1897
... Funds or foundations organized for scientific or literary purposes ; educational organizations not maintaining a ... fund associations of a purely local character . About 90,000 returns on Form 990 are being filed annually by the ...
... Funds or foundations organized for scientific or literary purposes ; educational organizations not maintaining a ... fund associations of a purely local character . About 90,000 returns on Form 990 are being filed annually by the ...
Page 1924
... funds - represent payments to patrons on the basis of transactions with them and distributed on the basis of the volume of business done with each . Tax treatment in the hands of the recipient : Such dividends in the hands of the patron ...
... funds - represent payments to patrons on the basis of transactions with them and distributed on the basis of the volume of business done with each . Tax treatment in the hands of the recipient : Such dividends in the hands of the patron ...
Page 1929
... funds being allocated to their account for the funds to be considered nontaxable patronage dividends to the cooperatives ? Mr. SCHOENEMAN . That is right . They receive information from the cooperatives as to what has been withheld and ...
... funds being allocated to their account for the funds to be considered nontaxable patronage dividends to the cooperatives ? Mr. SCHOENEMAN . That is right . They receive information from the cooperatives as to what has been withheld and ...
Page 1961
... funds of the cooperative . The funds are in the sole custody of the corporate entity . Obviously , this situation places the cooperative in a highly favored position . Let me illustrate by citing some specific examples . I quote from ...
... funds of the cooperative . The funds are in the sole custody of the corporate entity . Obviously , this situation places the cooperative in a highly favored position . Let me illustrate by citing some specific examples . I quote from ...
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Common terms and phrases
advantage agricultural amount asso basis board of directors BRABSON BRANDT BRIGGS Bureau Cooperative Association bylaws capital stock cash certificates CHAIRMAN co-op committee common stock competition Congress Consumers Cooperative Consumers Cooperative Association cooperative corporation cost cotton creamery dairy DINGELL distribution DOUGHTON earnings enterprise fact Farm Bureau Cooperative Farm Credit Administration farmer cooperatives Farmers Union Federal income tax feed funds GEARHART going Government grain growers Harold Knutson HEINKEL income-tax Indiana individual interest Internal Revenue Code LEWIS LYNCH marketing MARTIN MASON membership milk National nonmembers Ohio OLMSTED operation organization paid patronage dividends patronage refunds patrons pay taxes payment percent plant preferred stock profit purchasing purpose question received reserves retail savings SCHOENEMAN section 101 sell share SILCOX Southern States Cooperative statement stockholders tax equality tax exemption taxable taxation taxpaying tion tive vote wholesale WIGGINS WYSOR
Popular passages
Page 2187 - Exemption shall not be denied any such association because it has capital stock, if the dividend rate of such stock is fixed at not to exceed the legal rate of interest in the State of incorporation or 8 per centum per annum, whichever is greater, on the value of the consideration for which the stock was issued...
Page 2375 - Farmers', fruit growers', or like associations organized and operated on a cooperative basis (a) for the purpose of marketing the products of members or other producers, and turning back to them the proceeds of sales, less the necessary marketing expenses, on the basis of either the quantity or the value of the products furnished by them, or...
Page 2351 - States or any of its agencies shall be disregarded in determining the right to exemption under this paragraph; "(13) Corporations organized by an association exempt under the provisions of paragraph (12), or members thereof, for the purpose of financing the ordinary crop operations of such members or other producers, and operated in conjunction with such association. Exemption shall not be denied any such corporation because it has capital stock if the dividend rate of such stock is fixed at not...
Page 2195 - ... in an amount the value of which does not exceed the value of the supplies and equipment purchased for members, provided the value of the purchases made for persons who are neither members nor producers does not exceed 15 per centum of the value of all its purchases.
Page 2613 - Issued, and if substantially all such stock (other than nonvoting preferred stock, the owners of which are not entitled or permitted to participate, directly or indirectly in the profits of the association, upon dissolution or otherwise, beyond the fixed dividends) is owned by producers who market their products or purchase the'ir supplies and equipment through the association...
Page 2362 - The farmers' cooperatives exempt from taxation to the extent provided in subsection (a) are farmers', fruit growers', or like associations organized and operated on a cooperative basis (A) for the purpose of marketing the products of members or other producers, and turning back to them the proceeds of sales, less the necessary marketing expenses, on the basis of either the quantity or the value of the products furnished by them, or (B) for the purpose of purchasing supplies and equipment for the...
Page 2633 - Income may be defined as the gain derived from capital, from labor, or from both combined," provided it be understood to include profit gained through a sale or conversion of capital assets, to which it was applied in the Doyle Case (pp.
Page 2290 - Industry published by the Bureau of Foreign and Domestic Commerce of the Department of Commerce. The report, issued in 1917, gives data for an earlier period, the fiscal year 1913-14.
Page 1928 - ... private shareholder or individual, and in general all facts relating to its operations which affect its right to exemption. To such certificate shall be attached a copy of the charter or articles of incorporation, the by-laws of the organization, and the latest financial statement showing the assets, liabilities, receipts, and disbursements of the organization.
Page 1882 - The accumulation and maintenance of a reserve required by State statute, or the accumulation and maintenance of a reasonable reserve or surplus for any necessary purpose, such as to provide for the erection of buildings and facilities required in business, or for the purchase and installment of machinery and equipment, or to retire indebtedness incurred for such purposes, will not destroy the exemption.