Internal Revenue Cumulative Bulletin, Parte2Department of the Treasury, Internal Revenue Service, 1977 |
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Página 58
... effective with respect to payments made after De- cember 30 , 1969 , was added to sec- tion 162 of the Code by section 902 of the Tax Reform Act of 1969 , 1969- 3 C.B. 10 , 147 , and amended by sec- tion 310 ( a ) of the Revenue Act of ...
... effective with respect to payments made after De- cember 30 , 1969 , was added to sec- tion 162 of the Code by section 902 of the Tax Reform Act of 1969 , 1969- 3 C.B. 10 , 147 , and amended by sec- tion 310 ( a ) of the Revenue Act of ...
Página 69
... EFFECTIVE DATE : Except as otherwise provided in the amend- ments , the amendments are effective November 14 , 1977 . FOR FURTHER INFORMATION CONTACT : Mr. Robert C. Graff of the Legislation and Regulations Divi- sion , Office of the ...
... EFFECTIVE DATE : Except as otherwise provided in the amend- ments , the amendments are effective November 14 , 1977 . FOR FURTHER INFORMATION CONTACT : Mr. Robert C. Graff of the Legislation and Regulations Divi- sion , Office of the ...
Página 86
... effective for taxable years ending after Decem- ber 31 , 1969 , provides , in part , that in addition to the other taxes imposed ments . Treatment of an increase in the stand- ard mileage rate . See Rev. Proc . 77-40 , page 574 ...
... effective for taxable years ending after Decem- ber 31 , 1969 , provides , in part , that in addition to the other taxes imposed ments . Treatment of an increase in the stand- ard mileage rate . See Rev. Proc . 77-40 , page 574 ...
Página 92
... effective control of the corpora- tion indirectly through the stock held by the spouse . Another example , which would generaly constitute tax avoidance within the meaning of this provision , is the transfer by a tax- payer of part of ...
... effective control of the corpora- tion indirectly through the stock held by the spouse . Another example , which would generaly constitute tax avoidance within the meaning of this provision , is the transfer by a tax- payer of part of ...
Página 115
... Effective date . The provisions of this section apply to transfers be- ginning after October 9 , 1975 . $ 7.367-2 Ruling requests under section 367 as in effect on December 31 , 1974 . A transfer of property to or from a United States ...
... Effective date . The provisions of this section apply to transfers be- ginning after October 9 , 1975 . $ 7.367-2 Ruling requests under section 367 as in effect on December 31 , 1974 . A transfer of property to or from a United States ...
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Términos y frases comunes
Accordingly accrued benefit adjusted basis allowed amended amount annuity apply assets basis bonds capital charitable Code provides computing contract contributions December 31 deduction described in section determined DISC disqualified person distribution dividends election employee erty estate tax exchange excise tax exemption expenses fair market value Federal income tax fiduciary filed foreign corporation funds gift tax gross income held Income Tax Regulations interest Internal Revenue Code Internal Revenue Service investment issue lease loan marital deduction meaning of section ment method paid paragraph participation partnership payment percent period poration preferred stock prior private foundation purchase purposes of section pursuant put option receipts received relating requested respect rules section 302 section 411 securities shareholder shares subdivision subparagraph subsidiary tax imposed taxpayer term tion trade or business transaction transfer treated trust United vides voting level voting stock
Pasajes populares
Página 291 - Congress declares that it is the policy of the United States to use export controls to the extent necessary (a) to protect the domestic economy from the excessive drain of scarce materials and to reduce the inflationary impact of abnormal foreign demand...
Página 301 - If It were not for the fact that the property received In exchange consists not only of property permitted by such paragraph to be received without the recognition of gain, but also of other property or money...
Página 112 - ... it has been established to the satisfaction of the Secretary or his delegate that such exchange is not in pursuance of a plan having as one of its principal purposes the avoidance of Federal income taxes.
Página 210 - In the case of the disposal of timber held for more than 6 months before 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 basis thereof, shall be considered as though It were a gain or loss, as the case may be, on the sale of such timber.
Página 74 - Future interests" is a legal term, and includes reversions, remainders, and other interests or estates, whether vested or contingent, and whether or not supported by a particular interest or estate, which are limited to commence in use, possession, or enjoyment at some future date or time.
Página 32 - The obligations of a State, a Territory, or a possession of the United States, or any political subdivision of any of the foregoing, or of the District of Columbia...
Página 370 - Under present law (Code sec. 4161 (a)), there is imposed upon the sale of fishing rods, creels, reels, and artificial lures, baits, and flies (including parts or accessories of such articles sold on or in connection therewith, or with the sale thereof) by the manufacturer, producer, or importer a tax equivalent to 10 percent of the price for which so sold.
Página 245 - States shall not exceed the same proportion of the tax against which such credit is taken which the taxpayer's taxable income from sources within such country or possession (but not in excess of the taxpayer's entire taxable income) bears to his entire taxable income for the same taxable year.
Página 110 - No gain or loss shall be recognized If property is transferred to a corporation by one or more persons solely In exchange for stock or securities in such corporation, and Immediately after the exchange such person or persons are in control of the corporation...
Página 55 - Though its name, charter powers, and subjection to State insurance laws are significant in determining the business which a corporation is authorized and intends to carry on, the character of the business actually done in the taxable year determines whether it is taxable as an insurance company under the Code.