The decision of the United States Supreme Court denying the taxability of stock dividends as income under the Sixteenth Amendment\u27 aroused a fever of interest before it was announced, culminating in the stock market flurry caused by the erroneous first report of it. Since its announcement it has been the subject of extensive comment, both favorable and adverse. It seems, however, to have been rather generally thought a blow to government revenues. A few weeks later the same Court without apparently stirring a ripple of interest announced a decision which to the mind of the writer hereof will mean an infinitely greater loss in revenue to the government and will have an infinitely greater effect upon our scheme of income taxation as a whol...
The Sixteenth Amendment and the direct-tax clauses have become subjects of interest in the legal aca...
Marrita Murphy received compensatory damages of $45,000 for emotional distress or mental anguish and...
What is to be learned from this review of the various analyses offered in dissenting tax opinions ov...
The decision of the United States Supreme Court denying the taxability of stock dividends as income ...
Two important cases sustained objections to applications of the federal income tax. In each there wa...
The long awaited decision of the United States Supreme Court in Eisner v. Macomber (1920) 40 Sup. Ct...
In the case of Towne v. Eisner, the United States Supreme Court has recently held that under the Inc...
The United States Supreme Court last decided a federal income tax case on constitutional grounds in ...
The issue of taxation has been the subject of debate since the establishment of the thirteen colonie...
Taxpayer, a corporate shareholder, received from the corporation a distribution of property which ha...
The US Supreme Court last decided a federal tax case on constitutional grounds in 1920, a century ag...
On February 28, 1944, the Supreme Court of the United States by a six to three decision dismissed fo...
In ASARCO, Inc. v. Idaho State Tax Commission, the Supreme Court rejected Idaho’s definition of inco...
Does the constitutional requirement that the compensation of federal judges not be diminished dur...
The Supreme Court\u27s decisions delineating the constitutional limitations on state tax power have ...
The Sixteenth Amendment and the direct-tax clauses have become subjects of interest in the legal aca...
Marrita Murphy received compensatory damages of $45,000 for emotional distress or mental anguish and...
What is to be learned from this review of the various analyses offered in dissenting tax opinions ov...
The decision of the United States Supreme Court denying the taxability of stock dividends as income ...
Two important cases sustained objections to applications of the federal income tax. In each there wa...
The long awaited decision of the United States Supreme Court in Eisner v. Macomber (1920) 40 Sup. Ct...
In the case of Towne v. Eisner, the United States Supreme Court has recently held that under the Inc...
The United States Supreme Court last decided a federal income tax case on constitutional grounds in ...
The issue of taxation has been the subject of debate since the establishment of the thirteen colonie...
Taxpayer, a corporate shareholder, received from the corporation a distribution of property which ha...
The US Supreme Court last decided a federal tax case on constitutional grounds in 1920, a century ag...
On February 28, 1944, the Supreme Court of the United States by a six to three decision dismissed fo...
In ASARCO, Inc. v. Idaho State Tax Commission, the Supreme Court rejected Idaho’s definition of inco...
Does the constitutional requirement that the compensation of federal judges not be diminished dur...
The Supreme Court\u27s decisions delineating the constitutional limitations on state tax power have ...
The Sixteenth Amendment and the direct-tax clauses have become subjects of interest in the legal aca...
Marrita Murphy received compensatory damages of $45,000 for emotional distress or mental anguish and...
What is to be learned from this review of the various analyses offered in dissenting tax opinions ov...