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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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Treasury Decisions Under Internal Revenue Laws of the United States, Volume 33

United States. Internal Revenue Service - 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. PAR. D. Section 401 (Title II) of the Revenue Act of 1936 provides: SEC. 401. CAPITAL-STOCK...
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Federal Income, Estate and Gift Tax Laws, Correlated

United States, Walter Elbert Barton - 1944 - 1242 pages
...taxation under section 201 or 207. Sec. 141. (e) (3) Foreign corporations. Sec. 141. (e) (4) Corporations entitled to the benefits of section 251, by reason of receiving a large percentage of their income from sources within possessions of the United States. Sec. 141. (e) (5) Corporations organized...
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The Code of Federal Regulations of the United States of America

1960
...shall be treated as foreign corporations: (1) 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; and (2) A corporation organized under the China Trade Act, 1922 (16 USC, chapter 4),...
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Code of Federal Regulations: Containing a Codification of Documents of ...

1977
...shall be treated as foreign corporations: (DA 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; and (2) A corporation organized under the China Trade Act, 1922 (15 USC, chapter 4),...
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Code of Federal Regulations

1961
...shall be treated as foreign corporations: (1) 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; and (2) A corporation organized under the China Trade Act, 1922 (15 USC, chapter 4),...
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The Code of Federal Regulations of the United States of America

1949
...141 (f ) ) ; (3) A foreign corporation (except as provided in section 141 (g) ) ; (4) A corporation entitled to the benefits of section 251, by reason of receiving a large percentage of its income from sources within possessions of the United States; (5) A corporation organized under the...
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Code of Federal Regulations: Containing a Codification of Documents of ...

1954
...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. The credit under section 26 (b) (that Is, the sum of the credits determined under paragraphs...
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Excess Profits Tax on Corporations, 1950. Hearings ... on H.R. 9827

United States. Congress. Senate. Finance - 1950 - 866 pages
...companies subject to taxation under section 201 or 207. "(3) Foreign corporations. "(4) Corporations entitled to the benefits of section 251, by reason of receiving a large percentage of their income from sources within possession* of the United States. "(5) Corporations organized under...
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Excess Profits Tax on Corporations, 1950: Hearings Before the Committee on ...

United States. Congress. Senate. Committee on Finance - 1950 - 866 pages
...companies subject to taxation under section 201 or 207. "(3) Foreign corporations. "(4) Corporations entitled to the benefits of section 251, by reason of receiving a large percentage of their income from sources within possessions of the United States. "(5) Corporations organized under...
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Reports of the United States Tax Court, Volume 21

United States. Tax Court - 1954
...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. for $12,685.23. The petitioner reported this amount for tax purposes as capital gain....
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