The Federal Reporter, Volume 316West Publishing Company, 1963 |
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Página 626
... received for transfer of certificates were not entitled to preferen- tial capital gains treatment and were taxable as ordinary income . Decisions affirmed . other than its face amount , sellers re- ceived cash equivalent , and interests ...
... received for transfer of certificates were not entitled to preferen- tial capital gains treatment and were taxable as ordinary income . Decisions affirmed . other than its face amount , sellers re- ceived cash equivalent , and interests ...
Página 628
... received by her in 1953 as a long term capital gain on the sale of a capital asset with a zero basis . In their cash basis returns for 1953 , Hauber and Comes reported only the sum of $ 60,166.67 which they each received in cash in 1953 ...
... received by her in 1953 as a long term capital gain on the sale of a capital asset with a zero basis . In their cash basis returns for 1953 , Hauber and Comes reported only the sum of $ 60,166.67 which they each received in cash in 1953 ...
Página 802
... received by him on the date of his discharge for the period for which he received no com- pensation , less any amount he received from other employment during the time . Mendez v . United States , 96 F.Supp . 326 , 119 Ct.Cl. 345 ( Ct ...
... received by him on the date of his discharge for the period for which he received no com- pensation , less any amount he received from other employment during the time . Mendez v . United States , 96 F.Supp . 326 , 119 Ct.Cl. 345 ( Ct ...
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action Affirmed agreement alleged amended appellant appellant's appellee April Asst attorney bankrupt bankruptcy Board brief cause certiorari charge Chief Judge Circuit Judge Cite as 316 claim Commission Company complaint contract conviction corporation counsel Court of Appeals Criminal Law damages decision defendant denied dismissed District Court District Judge District of Columbia employees entitled ethylene glycol evidence F.Supp fact federal filed finding habeas corpus held income Internal Revenue issue judgment jurisdiction jury KEY NUMBER SYSTEM L.Ed ment motion National Labor Relations negligence officers opinion parties patent payment petition petitioner plaintiff prior proceeding Pullman Company question railroad Railway Labor Act reasonable record remanded rule S.Ct Section sion Stat statement statute supra Supreme Court Tax Court taxpayer testified testimony tion trial court trial judge trict U. S. Atty union United States Court United States District Uvalde violation Washington witness York