TR 2002/15 - Income tax: deductibility of payments incurred on moneys raised through the issue of perpetual notes
|
[2002] ATOTR 15
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/16 - Income tax: the taxation consequences for taxpayers issuing certain stapled securities
|
[2002] ATOTR 16
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/15 - Income tax: deductibility of payments incurred on moneys raised through the issue of perpetual notes
|
[2002] ATOTR TR2002/15
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/16 - Income tax: the taxation consequences for taxpayers issuing certain stapled securities
|
[2002] ATOTR TR2002/16
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
Investors Insurance Agency Inc v Commissioner of Internal Revenue
|
677 F2d 1328
|
United States Court of Appeals, Ninth Circuit
|
United States
|
26 May 1982
|
WorldLII
|
|
1
|
Wham Construction Co Inc v United States
|
600 F2d 1052
|
United States Court of Appeals, Fourth Circuit
|
United States
|
6 Jul 1979
|
WorldLII
|
|
|
Richmond Fredericksburg and Potomac Railroad Co v Commissioner of Internal Revenue
|
528 F2d 917
|
United States Court of Appeals, Fourth Circuit
|
United States
|
4 Dec 1975
|
WorldLII
|
|
|
Wood Preserving Corporation of Baltimore v United States
|
[1965] USCA4 298
|
United States Court of Appeals, Fourth Circuit
|
United States
|
15 Jun 1965
|
WorldLII
|
|
|
Wood Preserving Corporation of Baltimore v United States
|
347 F2d 117
|
United States Court of Appeals, Fourth Circuit
|
United States
|
3 May 1965
|
WorldLII
|
|
8
|
Perry v Certificate Holders of Thrift Savings
|
320 F2d 584
|
United States Court of Appeals, Ninth Circuit
|
United States
|
3 Jul 1963
|
WorldLII
|
|
9
|
Jewell Ridge Coal Corporation v Commissioner of Internal Revenue
|
[1963] USCA4 207
|
United States Court of Appeals, Fourth Circuit
|
United States
|
3 Jun 1963
|
WorldLII
|
|
1
|
Jewell Ridge Coal Corporation v Commissioner of Internal Revenue
|
318 F2d 695
|
United States Court of Appeals, Fourth Circuit
|
United States
|
29 Mar 1963
|
WorldLII
|
|
11
|
West Virginia Northern Railroad Co v Commissioner of Internal Revenue
|
282 F2d 63
|
United States Court of Appeals, Fourth Circuit
|
United States
|
19 Sep 1960
|
WorldLII
|
|
1
|
West Virginia Northern Railroad Co v Commissioner of Internal Revenue
|
[1960] USCA4 181
|
United States Court of Appeals, Fourth Circuit
|
United States
|
7 Jun 1960
|
WorldLII
|
|
|
Lee Telephone Co v Commissioner of Internal Revenue
|
[1958] USCA4 273
|
United States Court of Appeals, Fourth Circuit
|
United States
|
16 Oct 1958
|
WorldLII
|
|
|
Lee Telephone Co v Commissioner of Internal Revenue
|
260 F2d 114
|
United States Court of Appeals, Fourth Circuit
|
United States
|
13 Oct 1958
|
WorldLII
|
|
3
|
Gooding Amusement Co v Commissioner of Internal Revenue
|
236 F2d 159
|
United States Court of Appeals, Sixth Circuit
|
United States
|
1 Aug 1956
|
WorldLII
|
|
30
|
Wetterau Grocer Co v Commissioner of Internal Revenue
|
179 F2d 158
|
United States Court of Appeals, Eighth Circuit
|
United States
|
17 Jan 1950
|
WorldLII
|
|
5
|