U.S. Tax Cases, Volume 77, Issue 2Commerce Clearing House, 1978 - Income tax 1935-42 decisions originally reported currently in the Standard federal tax service, and 1941-42 also in the Federal estate and gift tax service, and 19 - in the Federal excise tax reports. |
Contents
ruptcy Was Improperly Applied to 185 F 2d 2456 CA10 Colo 1950 | 87-504 |
filed such taxes were in fact discharged the allowance of interest subsequent to | 87-719 |
defendant for the taxable year of 1968 should to put the question to rest once and for all | 88-219 |
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76 Tax Reform 9th Cir action agreement alleged amended amount Anti-Injunction Act appeal applied assessment assets Back reference Bank Bankruptcy BMAL capital Circuit coal Code Sec Commissioner Company contract corporation costs decision deduction defendant defendant's deficiency denied determined dismissed District Judge Douglas evidence exemption expenses fact filed foreign tax foreign tax credit FSupp funds Gorfinkle government's Grand Jury held income tax returns interest Internal Revenue Code Internal Revenue Service investment issue jurisdiction Koehring lien listed under taxpayer's loss ment Monfort motion operating paid parties payment penalties Phillips Phillips Petroleum Co plaintiff prior purchase purpose pursuant records Rule statute summary judgment Supp supra Tax Court tax liability tax lien Tax Reform Act taxable income taxpayer taxpayer's name testimony tion tract transaction trial U. S. District Court United States Attorney USTC Vepco