Income Tax ProcedureRonald Press Company, 1920 - Excess profits tax |
From inside the book
Results 1-5 of 100
Page 20
... decision , " etc. , as the case may be . It should be noted that regulations quoted in the text are taken from official Regulations 4532 unless otherwise specified . A quoted " The revised edition of Regulations 45 , approved April 17 ...
... decision , " etc. , as the case may be . It should be noted that regulations quoted in the text are taken from official Regulations 4532 unless otherwise specified . A quoted " The revised edition of Regulations 45 , approved April 17 ...
Page 58
... decision . When an organization has estab- lished its right to exemption , it need not thereafter make a return of income or any further showing with respect to its status under the law , unless it changes the character of its ...
... decision . When an organization has estab- lished its right to exemption , it need not thereafter make a return of income or any further showing with respect to its status under the law , unless it changes the character of its ...
Page 93
... decision of the Circuit Court of Appeals , in Crocker v . Malley , 249 U. S. 223. Under this form of trust arrangement , real estate is conveyed to trustees , subject to a long - term lease , the consideration being the stock of the ...
... decision of the Circuit Court of Appeals , in Crocker v . Malley , 249 U. S. 223. Under this form of trust arrangement , real estate is conveyed to trustees , subject to a long - term lease , the consideration being the stock of the ...
Page 102
... decision of the Commissioner . The Commissioner must be guided by a reasonable interpretation of the phrase in the law " owns or con- trols substantially all the stock . " The ownership of 51 per cent of the stock of a subsidiary might ...
... decision of the Commissioner . The Commissioner must be guided by a reasonable interpretation of the phrase in the law " owns or con- trols substantially all the stock . " The ownership of 51 per cent of the stock of a subsidiary might ...
Page 115
... decision is in direct conflict with other decisions under which the accrual basis has been definitely established . T. D. 2663 should have been specifically limited to corporations which did not accrue their income taxes on their books ...
... decision is in direct conflict with other decisions under which the accrual basis has been definitely established . T. D. 2663 should have been specifically limited to corporations which did not accrue their income taxes on their books ...
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Common terms and phrases
accrued alien individual allowable deduction amortization amount apply assessed assets basis calendar capital stock cash cent certificates charged claim collector Commissioner compensation computed cost Court December 31 dends depletion depreciation determined distribution employees excess profits tax expenses fair market value February 28 federal fiduciary filed fiscal foreign corporation Former Procedure gross income imposed included income tax interest Internal Revenue inventory invested issued liability Liberty bonds Liberty Loan loss March net income non-resident alien nonresident normal tax owner par value partnership payment penalty period personal service corporation poration premiums prior purchase purpose rates refund REGULATION reported resident return of income RULING Section 214 securities shares statute stock dividends stockholders surplus surtax taxable income taxation taxes paid taxpayer thereof tion transaction Treasury trust United War Finance Corporation war profits withholding agent
Popular passages
Page 123 - ... in any manner whatever not provided by law any income return, or any part thereof or source of income, profits, losses, or expenditures appearing in any income return; and any offense against the foregoing provision shall be a misdemeanor and be punished by a fine not exceeding $1,000 or by imprisonment not exceeding one year, or both...
Page 205 - An Act to provide revenue, equalize duties, and encourage the industries of the United States, and for other purposes," the Act of October 3, 1913, entitled "An Act to reduce tariff duties and to provide revenue for the Government, and for other purposes...
Page 495 - [a] word is not a crystal, transparent and unchanged, it is the skin of a living thought and may vary greatly in color and content according to the circumstances and the time in which it is used.
Page 536 - All the ordinary and necessary expenses paid or incurred during the taxable year in carrying on any trade or business, including a reasonable allowance for salaries or other compensation .for personal services actually rendered...
Page 692 - The necessity for a depreciation allowance arises from the fact that certain property used in the business gradually approaches a point where its usefulness is exhausted. The allowance should be confined to property of this nature. In the case of tangible property, it applies to that which is subject to wear and tear, to decay or decline from natural causes, to exhaustion, and to obsolescence...
Page 222 - ... shall render a true and accurate return to the Commissioner, under such regulations and in such form and manner and to such extent as may be prescribed by him with the approval of the Secretary, setting forth the amount of such gains, profits, and income, and the name and address of the recipient of such payment.
Page 628 - In the case of an individual, losses sustained during the taxable year and not compensated for by insurance or otherwise — (1) if incurred in trade or business; or (2) if incurred in any transaction entered into for profit, though not connected with the trade or business...
Page 882 - Fraternal beneficiary societies, orders, or associations, (A) operating under the lodge system or for the exclusive benefit of the members of a fraternity itself operating under the lodge system...
Page 70 - ... 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, the computation shall be made in accordance with such method as in the opinion of the Commissioner does clearly reflect the income.
Page 41 - ... amounts received, through accident or health insurance or under workmen's compensation acts, as compensation for personal injuries or sickness, plus the amount of any damages received whether by suit or agreement on account of such injuries or sickness...