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" ... such disposal, by the owner thereof under any form or type of contract by virtue of which such owner retains an economic Interest In such timber, the difference between the amount realized from the disposal of such timber and the adjusted depletion... "
Internal Revenue Cumulative Bulletin - Page 481
by United States. Internal Revenue Service - 1981
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United States Reports: Cases Adjudged in the Supreme Court at ..., Volume 451

United States. Supreme Court, John Chandler Bancroft Davis, Henry Putzel, Henry C. Lind, Frank D. Wagner - 1982 - 1050 pages
...of such coal or iron ore and the adjusted depletion basis thereof plus the deductions disallowed for the taxable year under section 272 shall be considered...allowance for percentage depletion provided in section 61S with respect to such coal or iron ore. This subsection shall not apply to income realized by any...
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Cases Decided in the United States Court of Claims ... with ..., Volume 121

United States. Court of Claims, Audrey Bernhardt - 1952 - 1040 pages
...the difference between the amount received for such timber and the adjusted depletion basis thereof shall be considered as though it were a gain or loss, as the case may be, upon the sale of such timber. This provision was added to the Internal Revenue Code by Section 127...
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The Code of Federal Regulations of the United States of America ..., Book 2

1939 - 1522 pages
...the difference between the amount received for such timber and the adjusted depletion basis thereof ed to read as follows: (d) Application for relief under upon the sale of such timber. (b) Technical amendment. Section 117 (J) (1) (relating to gains and losses...
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United States Code, Volume 3

United States - 1953 - 1744 pages
...difference between the amount received for such timber or coal and the adjusted depletion basis thereof in section 275 the time within which upon the sale of such timber or coal. Such owner shall not be entitled to the allowance for percentage...
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Reports of the Tax Court of the United States, Volume 47

United States. Tax Court - 1967 - 786 pages
...the amount realized from the disposal of such coal and the adjusted depletion basi's thereof * * * shall be considered as though it were a gain or loss, as the case may be, on the sale of such coal. Such owner shall not be entitled to the allowance for percentage depletion provided In section 613...
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Revenue Revision of 1943: Hearings...revised, October 4, 5, 6, 7, 11, 12, 13 ...

United States. Congress. House. Committee on Ways and Means - 1943 - 1636 pages
...the difference between the amount received for such timber and the adjusted depletion basis thereof shall be considered as though it were a gain or loss, as the case may be, upon the sale of such timber as property used in the trade or business of the owner, and the resulting...
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Current Lumber Industry Problems: Fourth Interim Report

United States. Congress. House. Select Committee on Small Business - 1944 - 42 pages
...the difference between the amount received for such timber and the adjusted depletion basis thereof shall be considered as though it were a gain or loss, as the case may be, upon the sale of such timber as property used in the trade or business of the owner, and the resulting...
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United States Congressional Serial Set, Issue 10878

1944 - 1344 pages
...the difference between the amount received for such timber and the adjusted depletion basis thereof shall be considered as though it were a gain or loss, as the case may be. upon the sale of such timber." (b) TECHNICAL AMENDMENT. — Section 117 (j) (1) (relating to gains...
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Individual Income Tax Provisions of the Internal Revenue Code: Applicable to ...

United States. Congress. Joint Committee on Internal Revenue Taxation - 1944 - 336 pages
...the difference between the amount received for such timber and the adjusted depletion basis thereof Shall be considered as though it were a gain or loss, as the oase may be, upon the sale of such timber. SEC. 118. LOSS FROM WASH SALES OF STOCK OR SECURITIES. (a)...
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Individual Income Tax Provisions of the Internal Revenue Code (second ...

United States. Congress. Internal Revenue Taxation Joint Committee - 1945 - 350 pages
...the difference between the amount received for such timber and the adjusted depletion basis thereof shall be considered as though it were a gain or loss, as the case may be, upon the sale of such timber. SEC. 118. LOSS FROM WASH SALES OF STOCK OR SECURITIES. (a) In the case...
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