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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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Legislative Calendar, Volume 53, Part 1

United States. Congress. Senate. Committee on Finance - 1939
...this section the following corporations shall be treated as foreign corporations : (1) A corporation entitled to the benefits of section 251. by reason...sources within a possession of the United States ; (2) A corporation organized under the China Trade Act, 1922, 42 Stat. 849 (USC, Title 15, c. 4), and entitled...
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United States Statutes at Large, Volume 53, Part 1

United States Department of State - 1939
...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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Reports of the U.S. Board of Tax Appeals, Volume 35

United States. Board of Tax Appeals - 1937
...section 251 is taxable only on Its gross Income from sources within the United States by reason of its receiving a large percentage of its gross income from sources within a possession of the United States. Section 235 of the Kevenue Act of 1928 provides that in the case of a foreign corporation...
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Comparison of the Revenue Acts of 1936 and 1938, Volume 36

United States, United States. Congress. House. Committee on Ways and Means - 1938 - 336 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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Codification of Internal Revenue Laws, ... Published Pursuant to Section ...

United States - 1938 - 628 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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The Code of Federal Regulations of the United States of America Having ...

1939
...Corporations 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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The Code of Federal Regulations of the United States of America Having ...

1939
...deriving income from possessions of United States. For the purposes of this section a corporation for Federal income taxes. For Income from possessions of the United States, shall be treated as a foreign corporation. (h) Subsidiary...
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Second Revenue Act of 1940: Hearings Before the Committee on Finance, United ...

United States. Congress. Senate. Committee on Finance - 1940 - 497 pages
...Derivin9 Income From Possessions of United Statrs. 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) A personal...
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United States Code

United States - 1953
...companies subject to taxation under section 201 or 207. (3) Foreign corporations. (4) Corporations s., U.S. G.P.O. their income from sources within possessions of the United States. (5) Corporations organized under...
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United States Congressional Serial Set

1941
...Foreign corporations. "(8) Corporations organized under the China Trade Act. 1922. "(4) Corporations entitled to the benefits of section 251, by reason of receiving a large percentage of their income from possessions of the United States. "(5) Personal service corporations. "(6) Insurance...
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