| 1927 - 920 pages
...for personal services rendered by him to a corporation which represents a distribution of earnings or profits rather than a reasonable allowance as compensation for the personal services actually rendered. In case a taxpayer is engaged in a business abroad in which both personal services and capital are material... | |
| United States. Internal Revenue Service - 1924 - 396 pages
...personal services rendered by him to a corporation, which represents a distribution of earnings or profits rather than a reasonable allowance as compensation for the personal services actually rendered. No general rule can be laid down defining the trades or businesses in which personal services and capital... | |
| Walter Elbert Barton, United States, Carroll Wright Browning - 1925 - 580 pages
...for personal services rendered by him to a corporation which represents a distribution of earnings or profits rather than a reasonable allowance as compensation...which both personal services and capital are material income producing factors, a reasonable allowance as compensation for the personal services actually... | |
| John F. Sherwood - 1925 - 206 pages
...for personal services rendered by him to a corporation which represents a distribution of earnings or profits rather than a reasonable allowance as compensation...which both personal services and capital are material income producing factors, a reasonable allowance as compensation for the personal services actually... | |
| Irving Bank-Columbia Trust Company - 1925 - 152 pages
...for personal services rendered by him to a corporation which represents a distribution of earnings or profits rather than a reasonable allowance as compensation...which both personal services and capital are material income producing factors, a reasonable allowance as compensation for the personal services actually... | |
| United States. Congress. House. Committee on Ways and Means - 1925 - 1154 pages
...for personal services rendered by him to a corporation which represents a distribution of earnings or a u A (2) In the case of a taxpayer engaged in a trade or business in which both personal service and capital... | |
| United States. Congress. Joint Committee on Internal Revenue Taxation - 1927 - 414 pages
...for personal services rendered by him to a corporation which represents a distribution of earnings or profits rather than a reasonable allowance as compensation...which both personal services and capital are material income producing factors, a reasonable allowance as compensation for the personal services actually... | |
| Eric Louis Kohler - 1927 - 618 pages
...for personal services rendered by him to a corporation which represents a distribution of earnings or profits rather than a reasonable allowance as compensation...which both personal services and capital are material income producing factors, a reasonable allowance as compensation for the personal services actually... | |
| E.G.Holt,United States Department of Commerce - 1927 - 636 pages
...for personal services rendered by him to a corporation which represents a distribution of earnings or profits rather than a reasonable allowance as compensation for the personal services actually rendered. In case a taxpayer is engaged in a business abroad in which both personal services and capital are material... | |
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