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" Section 533 provides that the fact that the earnings and profits of a corporation are permitted to accumulate beyond the reasonable needs of the business "shall be determinative of the purpose to avoid the income tax with respect to shareholders," unless... "
General Revenue Revision: Topics 1-19. June 16-18, 23, July 8-9, 14-16, and ... - Sivu 2137
tekijä(t) United States. Congress. House. Committee on Ways and Means - 1953 - 2950 sivua
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The Laws of Wisconsin

Wisconsin - 1935 - 1308 sivua
...is to invest the capital or income of one or more Wisconsin residents and that the gains or profits are permitted to accumulate beyond the reasonable needs of the business, shall be prima facie evidence of a purpose to escape taxation. In all cases the burden of proof that the failure...

Congressional Record: Proceedings and Debates of the ... Congress, Nide 65,Osa 2

United States. Congress - 1924 - 1048 sivua
...corporation, joint-stock company, or association is a mere holding company or that the gains and profits are permitted to accumulate beyond the reasonable needs of the business shall be prima facie evidence of a fraudulent purpose to escape such a tax ; but the fact that the gains and...

Official Gazette, Nide 76,Numerot 38–44

Philippines - 1980 - 194 sivua
...stock is owned, directly or indirectly, by one person. "(c) Evidence determinative of purpose. — That fact that the earnings or profits of a corporation...business shall be determinative of the purpose to avoid the tax upon its shareholders or members unless the corporation, by clear preponderance of evidence,...

Official Gazette, Nide 83,Numerot 51–52

Philippines - 1987 - 284 sivua
...Philippines. ••••••• (c) Evidence determinative of purpose. — The fact that the earnings of profits of a corporation are permitted to accumulate...business shall be determinative of the purpose to avoid the tax upon its shareholders or members unless the corporation, by clear preponderance of evidence,...

Wisconsin Session Laws

Wisconsin - 1935 - 1310 sivua
...is to invest the capital or income of one or more Wisconsin residents and that the gains or profits are permitted to accumulate beyond the reasonable needs of the business, shall be prima facie evidence of a purpose to escape taxation. In all cases the burden of proof that the failure...

United States Tariff Customs Administration and Income Tax Law: Approved ...

United States - 1913 - 454 sivua
...corporation, joint-stock company, or association, is a mere holding company, or that the gains and profits are permitted to accumulate beyond the reasonable needs of the business shall be prima facie evidence of a fraudulent purpose to escape such tax; but the fact that the gains and profits...

The Federal Income Tax Law: With Summary and Explanatory Notes

Old Colony Trust Company (Boston, Mass.) - 1913 - 64 sivua
...corporation, joint stock company, or association, is a mere holding company, or that the gains and profits are permitted to accumulate beyond the reasonable needs of the business shall be prima facie evidence of a fraudulent purpose to escape such tax; but the fact that the gains and profits...

Customs Tariff Act, October 3, 1913: With Alphabetical Schedule and ...

Downing, R. F., & co - 1913 - 686 sivua
...corporation, joint-stock company, or association, Is a mere holding company, or that the gains and profits are permitted to accumulate beyond the reasonable needs of the business shall be prima facie evidence of a fraudulent purpose to escape such tax; but the fact that the gains and profits...

The Income Tax Law of the United States of America: Analyzed and Clarified

Albert Henry Walker - 1913 - 126 sivua
...corporation, joint stock company, or association is a mere holding company, or that the gains and profits are permitted to accumulate beyond the reasonable needs of the business shall be prima facie evidence of a fraudulent purpose to escape such tax; but the fact that the gains and profits...

The Income Tax Law of 1913 Explained: With the Regulations of the Treasury ...

George Fox Tucker - 1913 - 292 sivua
...corporation, joint stock company, or association, is a mere holding company, or that the gains and profits are permitted to accumulate beyond the reasonable needs of the business shall be prima facie evidence of a fraudulent purpose to escape such tax; but the fact that the gains and profits...




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