Supreme Court Reporter, Volym 53West Publishing Company, 1933 |
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Sida 228
... Revenue Act 1921 , § 1331 ( 26 USCA § 1067 ) , nor applicable Treasury Regulations , under which complete stock ownership is made test of affiliation , rec- ognized that affiliation may be terminated by mere fact that liquidation is ...
... Revenue Act 1921 , § 1331 ( 26 USCA § 1067 ) , nor applicable Treasury Regulations , under which complete stock ownership is made test of affiliation , rec- ognized that affiliation may be terminated by mere fact that liquidation is ...
Sida 873
... Revenue Act 1918 , ing its assets must acquire interest in purchas- § 214 ( a ) ( 4-6 ) .- Id . ing corporation's affairs more definite than that incident to ownership of purchaser's short- term notes . ( Revenue Act 1926 , §§ 202 , 203 ...
... Revenue Act 1918 , ing its assets must acquire interest in purchas- § 214 ( a ) ( 4-6 ) .- Id . ing corporation's affairs more definite than that incident to ownership of purchaser's short- term notes . ( Revenue Act 1926 , §§ 202 , 203 ...
Sida 875
... Revenue Act 1926 , § 1003 ( b ) , 26 USCA § 1226 ( b ) .— Id . U.S. Consolidated return by affiliated corporations was required primarily to preclude reduction of total tax payable by business , view ed as unit , by redistributing income ...
... Revenue Act 1926 , § 1003 ( b ) , 26 USCA § 1226 ( b ) .— Id . U.S. Consolidated return by affiliated corporations was required primarily to preclude reduction of total tax payable by business , view ed as unit , by redistributing income ...
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