Punch, Volume 21Punch Publications Limited, 1851 - Caricatures and cartoons |
From inside the book
Results 1-5 of 72
Page 6
... profit of the petitioner during the calendar year 1930 in the sum of $ 3260.43 and not in the sum of $ 1496.90 and that the base upon which the said franchise tax was to be figured was the sum of $ 72,450.00 and not as contended by the ...
... profit of the petitioner during the calendar year 1930 in the sum of $ 3260.43 and not in the sum of $ 1496.90 and that the base upon which the said franchise tax was to be figured was the sum of $ 72,450.00 and not as contended by the ...
Page 9
... profits realized during the calendar year 1930 . NINTH : Item 8 of the said return stated that the entire net income of your petitioner for the year ending December 31st , 1930 shown by the petitioner's report to the United States Trea ...
... profits realized during the calendar year 1930 . NINTH : Item 8 of the said return stated that the entire net income of your petitioner for the year ending December 31st , 1930 shown by the petitioner's report to the United States Trea ...
Page 10
... profit as a deferred income . TWELFTH : For the purpose of the franchise tax payable to the State Tax Commission how- ever your petitioner deferred no part of the said profits but reported the entire profit realized upon each of the ...
... profit as a deferred income . TWELFTH : For the purpose of the franchise tax payable to the State Tax Commission how- ever your petitioner deferred no part of the said profits but reported the entire profit realized upon each of the ...
Page 11
... profit which after adjustment was fixed by the Federal Authorities , at about $ 79,000.00 , but which , by ... profit and the said tax so assessed was duly paid . FOURTEENTH : Again , in the calendar year 1926 your petitioner sold ...
... profit which after adjustment was fixed by the Federal Authorities , at about $ 79,000.00 , but which , by ... profit and the said tax so assessed was duly paid . FOURTEENTH : Again , in the calendar year 1926 your petitioner sold ...
Page 12
... profits was thereafter car- ried forward from year to year as long as your petitioner reported under Article 9 and ... profit . SIXTEENTH : In the franchise tax returns filed by your petitioner for the years 1927 , 1928 and 1929 , your ...
... profits was thereafter car- ried forward from year to year as long as your petitioner reported under Article 9 and ... profit . SIXTEENTH : In the franchise tax returns filed by your petitioner for the years 1927 , 1928 and 1929 , your ...
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accident Aetna Albany Appeal Board Appellate Division Attorney award Buffalo Century Circuit Charlotte Doyle claim claimant Cohen contract corsetiere death deceased decedent December December 30 Department of Labor Direct disability Ebling Company employer evidence Exhibit fact Federal filed Fuel Economizer Company garments gift Globe Indemnity Co Green Fuel Economizer Greens Economizer Corporation Hearing Stenographer hereby honorarium Hosler Industrial Board Industrial Commissioner inguinal hernia injury insurance carrier January January 18 John Natello June 28 Kaltman liability ment Minutes of Hearing Morton net income Neustein Niagara Falls Nield Notice of Decision November November 20 O'Rourke October October 23 operation paid pany payment petitioner proceeding profits question record Referee Respondents retail price Section Spirella Company stockholders Street Supreme Court Swartz Tax Commission Tax Law testified testimony tion Unemployment Insurance week William DeVellier William Nylander York City