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" A corporation entitled to the benefits of section 931, by reason of receiving a large percentage of its gross income from sources within a possession of the United States... "
Statistics of Income - Page 28
by United States. Internal Revenue Service - 1952
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Report of the Joint Committee on Internal Revenue Taxation

United States. Congress. Joint Committee on Internal Revenue Taxation - 1927
...deriving income from possessions of United States. For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from possessions of the United States, shall be treated as a foreign corporation. (f) Consolidation...
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Comparison of the Revenue Acts of 1926 and 1928: With Index

United States - 1928 - 247 pages
...deriving income from possessions of United States. For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from possessions of the United States, shall be treated as a foreign corporation. (h) Subsidiary...
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Statistics of Income for ...

United States. Internal Revenue Service - 1954
...corporation's excess profits net income from sources without the United States bears to its excess profits net income for the same taxable year. This method...large percentage of its gross income from sources wjthin a possession of the United States. (2) Under section 23 (c) of the Code, corporations which...
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Regulations 74 Relating to the Income Tax Under the Revenue Act of 1928

United States. Internal Revenue Service - 1931 - 491 pages
...deriving income from possessions of United States. For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of Its income from possessions of the United States, shall be treated as a foreign corporation. (h) Subsidiary...
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Regulations 77 Relating to the Income Tax Under the Revenue Act of 1932

United States. Bureau of Internal Revenue, United States. Internal Revenue Service - 1933 - 423 pages
...deriving income from possessions of United States.- For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from possessions of the United States, shall be treated as a foreign corporation. (h) Subsidiary...
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Regulations 89 Relating to Consolidated Returns of Affiliated Railroad ...

United States. Office of Internal Revenue - 1935 - 33 pages
...Deriving Income From Possessions of TJnited States. For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from possessions of the United States, shall be treated as a foreign corporation. (h) Subsidiary...
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Regulations 86 Relating to the Income Tax Under the Revenue Act of 1934

United States. Bureau of Internal Revenue, United States. Internal Revenue Service - 1935 - 466 pages
...deriving income from possessions of United States. For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from possessions of the United States, shall be treated as a foreign corporation. (h) Subsidiary...
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Regulations 94 Relating to the Income Tax Under the Revenue Act of 1936

United States. Bureau of Internal Revenue, United States. Internal Revenue Service - 1936 - 566 pages
...deriving income from possessions of United States. For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from possessions of the United States, shall be treated as a foreign corporation. (h) Subsidiary...
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Regulations 97 Relating to Consolidated Returns of Affiliated Railroad ...

United States. Office of Internal Revenue - 1936 - 35 pages
...Deriving Income From Possessions of United States. For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from possessions of the United States, shall be treated as a foreign corporation. (h) Subsidiary...
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Comparison of the Revenue Acts of 1934 and 1936

United States, United States. Congress. House. Committee on Ways and Means - 1936 - 290 pages
...DERIVING INCOME FROM POSSESSIONS OP UNITED STATES. For the purposes of this section a corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from possessions of the United States, shall be treated as a foreign corporation. (h) SUBSIDIARY...
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