Connecticut Bar Journal, Volume 10State Bar Association of Connecticut, 1936 - Bar associations Includes Annual reports, and lists of members. |
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Page 38
United States , not on the ground that the tax statute was not broad enough to show the intent of Congress to include these proceeds , but rather that the statute was unconstitutional because it was a direct tax on property not ...
United States , not on the ground that the tax statute was not broad enough to show the intent of Congress to include these proceeds , but rather that the statute was unconstitutional because it was a direct tax on property not ...
Page 57
It seems clearly apparent to me , that the legislative intent in the enactment of Chapter 190 of the Public Acts of 1923 , was , to place the burden of the tax upon the beneficial successors to the property of a decedent , ( when such ...
It seems clearly apparent to me , that the legislative intent in the enactment of Chapter 190 of the Public Acts of 1923 , was , to place the burden of the tax upon the beneficial successors to the property of a decedent , ( when such ...
Page 170
supplies were rendered or delivered within a reasonably short period of time immediately preceding the receivership , and the circumstances indicate no intent to extend long term credit to the corporation . Limitations on Priority .
supplies were rendered or delivered within a reasonably short period of time immediately preceding the receivership , and the circumstances indicate no intent to extend long term credit to the corporation . Limitations on Priority .
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Contents
THE CASE FOR THE PROPERTY TAX Artlur F Poiier | 1 |
OCTOBER 1936 No | 4 |
DEVELOPMENT OF BANKRUPTCY LEGISLATION | 24 |
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