Reports of the United States Tax Court, Volume 70United States Tax Court, 1978 - Government publications Kept up to date by a monthly publication called: United States. Tax Court. Reports. |
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Results 1-5 of 100
Page 25
... remaining $ 11,342 of the lump - sum pension distribution did not qualify for capital gain treatment under section 402 ( a ) ( 5 ) . Petitioners elected to use the 5 - year income averaging provisions of sections 1301 through 1305 to ...
... remaining $ 11,342 of the lump - sum pension distribution did not qualify for capital gain treatment under section 402 ( a ) ( 5 ) . Petitioners elected to use the 5 - year income averaging provisions of sections 1301 through 1305 to ...
Page 27
... 2 years , unless he has died or become disabled ( within the meaning of subsection ( m ) ( 7 ) ) . * Pub . L. 93-406 , 88 Stat . 829 . income averaging is elected , the remaining paragraphs of section ( 24 ) 27 KEELER v . COMMISSIONER.
... 2 years , unless he has died or become disabled ( within the meaning of subsection ( m ) ( 7 ) ) . * Pub . L. 93-406 , 88 Stat . 829 . income averaging is elected , the remaining paragraphs of section ( 24 ) 27 KEELER v . COMMISSIONER.
Page 28
United States. Tax Court. income averaging is elected , the remaining paragraphs of section 72 ( n ) are implicitly rendered inapplicable in such cases by the statutory language of section 72 ( n ) ( 2 ) . Since section 72 ( n ) ( 2 ) ...
United States. Tax Court. income averaging is elected , the remaining paragraphs of section 72 ( n ) are implicitly rendered inapplicable in such cases by the statutory language of section 72 ( n ) ( 2 ) . Since section 72 ( n ) ( 2 ) ...
Page 30
... remaining issue for decision is whether petitioner may carry back , under section 172 , I.R.C. 1954 , a post - reorganization net operating loss , for the short period April 23 , 1970 , through December 31 , 1970 , to the pre ...
... remaining issue for decision is whether petitioner may carry back , under section 172 , I.R.C. 1954 , a post - reorganization net operating loss , for the short period April 23 , 1970 , through December 31 , 1970 , to the pre ...
Page 41
... remaining 104 shares . Decedent was president of the Wrap - On Co. until his death , after which he was succeeded as president by his wife , Florence . Decedent executed his will on May 23 , 1967. In substance , he left $ 25,000 to his ...
... remaining 104 shares . Decedent was president of the Wrap - On Co. until his death , after which he was succeeded as president by his wife , Florence . Decedent executed his will on May 23 , 1967. In substance , he left $ 25,000 to his ...
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9th Cir acquired affd agreement allocated amended amount annuity apply Arthur Smith assets Atlas Bank basis benefit capital carryback cash claim COMMISSIONER OF INTERNAL community property contract Corp corporation Court decedent decedent's December December 31 decision distribution dividends divorce employee entitled estate tax exempt expenses facts fair market value Federal income tax fees filed franchise gross income Hayden Stone held hereinafter Income Tax Regs income tax return incurred interest Internal Revenue Code Internal Revenue Service issue KBSI liability loan loss Malag marital deduction notice of deficiency operating organization paid parties partnership payable payments percent period petition petitioner petitioner's players prior proceeds profits purchase purposes pursuant qualify received regulations reorganization Rept respect Respondent determined RESPONDENT Docket respondent's Rule shareholders shares statutory stipulated supra taxable taxpayer transaction transfer trust trust instrument United Yawata
Popular passages
Page 583 - ... organized and operated exclusively for religious, charitable, scientific, testing for public safety, literary, or educational purposes, or for the prevention of cruelty to children or animals, no part of the net earnings of which inures to the benefit of any private shareholder or individual, no substantial part of the activities of which is carrying on propaganda, or otherwise attempting, to influence legislation, and which does not participate in, or intervene in (including the publishing or...
Page 174 - In the case of a series of transactions, the date of the last such transaction) ; and (B) stock of the distributing corporation possessing at least 80 percent of the total combined voting power of all classes of stock entitled to vote, and at least 80 percent of the total number of shares of all other classes of stock (except nonvoting stock which is limited and preferred as to dividends...
Page 4 - For the production or collection of income; (2) For the management, conservation, or maintenance of property held for the production of income; or (3) ln connection with the determination, collection, or refund of any tax.
Page 416 - COMPULSORY COUNTERCLAIMS. A pleading shall state as a counterclaim any claim which at the time of serving the pleading the pleader has against any opposing party, if it arises out of the transaction or occurrence that is the subject matter of the opposing party's claim and does not require for its adjudication the presence of third parties of whom the court cannot acquire jurisdiction.
Page 998 - A trust created or organized in the United States and forming part of a stock bonus, pension, or profit-sharing plan of an employer for the exclusive benefit of his employees or their beneficiaries...
Page 1030 - ... means wages, salaries, or professional fees, and other amounts received as compensation for personal services actually rendered, but does not include that part of the compensation derived by the taxpayer for personal services rendered by him to a corporation which represents a distribution of earnings or profits rather than a reasonable allowance as compensation for the personal services actually rendered.
Page 32 - ... (D) A transfer by a corporation of all or a part of its assets to another corporation if immediately after the transfer the transferor, or one or more of its shareholders (including persons who were shareholders immediately before the transfer), or any combination thereof, is in control of the corporation to which the assets are transferred; but only if, in pursuance of the plan, stock or securities of the corporation to which the assets are transferred are distributed in a transaction which...
Page 80 - While the question of dependency may involve principles of law, the fact remains that dependency is a question of fact to be determined from all the circumstances of the case and the burden of proving it rests upon him who claims it.
Page 105 - 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...
Page 899 - ... taxes assessed against local benefits of a kind tending to increase the value of the property assessed...