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" No suit or proceeding shall be maintained in any court for the recovery of any internal-revenue tax alleged to have been erroneously or illegally assessed or collected, or of any penalty claimed to have been collected without authority, or of any sum... "
Cases Decided in the Court of Claims of the United States at the ... with ... - Página 228
por United States. Court of Claims - 1880
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The Tribune Almanac and Political Register for ...

1872
...action accrued and not after; and all claims for the refundIng of any internal tax or penalty shall be presented to the Commissioner of Internal Revenue within two years next after the cause of action accrued and not after ; Provided, That actions for claims that have accrued prior to...
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Cases Decided in the United States Court of Claims, Volumen69

United States. Court of Claims - 1930
...illegally assessed or collected, or of any penalty alleged to have been collected without authority, or of any sum alleged to have been excessive or in any. manner wrongfully collected must, except as otherwise provided by law in the case of income, war-profits, excess-profits, estate, and...
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Cases Decided in the United States Court of Claims, Volumen84

United States. Court of Claims - 1937
...illegally assessed or collected, or of any penalty alleged to have been collected without authority, * * * or in any manner wrongfully collected must * * * be...presented to the Commissioner of Internal Revenue within four years next after the payment of such tax, penalty, or sum. This is not all that stands in the...
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Cases Decided in the United States Court of Claims ... with ..., Volumen129

United States. Court of Claims, Audrey Bernhardt - 1955
...illegally assessed or collected, or of any penalty alleged to have been collected without authority, or of any sum alleged to have been excessive or in any manner wrongfully collected which are the things made subject by Section 3313 to a claim for refund. We do not think that the funds...
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Cases Decided in the United States Court of Claims ... with ..., Volumen136

United States. Court of Claims, Audrey Bernhardt - 1957
...Illegally assessed or collected, or of any penalty claimed to have been collected without authority, or of any sum alleged to have been excessive or in any manner wrongfuly collected until a claim Jor refund or credit has been duly filed with the Commissioner, according...
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Cases Decided in the United States Court of Claims ... with ..., Volumen113

United States. Court of Claims, Audrey Bernhardt - 1949
...illegally assessed or collected, or any penalty claimed to have been collected without authority or any sum alleged to have been excessive or in any manner wrongfully collected under the internal-revenue laws, (i) if the claim does not exceed $10,000 or (ii) even if the claim...
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The Statutes at Large and Proclamations of the United States of America from ...

United States - 1873
...Saving clause. and not after ; and all claims for the refunding of any internal tax or penalty shall be presented to the commissioner of internal revenue within two years next after the cause of action accrued and not after : Provided, That actions for claims, which have accrued prior...
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COMPILIATION OF TH EINTERNAL REVENUE LAWS OF THE UNITED STATES IN FORCE ...

1873
...all claims for lauding, when to ' be presented. the refunding of any internal tax or penalty shall be presented to the Commissioner of Internal Revenue within two years next after the cause of action accrued and not after: Actions for Provided. That actions for claims, which have accrued...
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The Statutes at Large and Proclamations of the United States of ..., Volumen17

United States - 1873
...of с anges. and not after ; and all claims for the refunding of any internal tax or penalty shall be presented to the commissioner of internal revenue within two years next after the cause of action accrued and not after: Provided, That actions for claims, which have accrued prior...
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Official Opinions of the Attorneys General of the United States: Advising ...

United States. Department of Justice - 1875
...therefore, within the meaning of sec. 3228, Revised Statutes; and claims fora refund of money paid for them must be presented to the Commissioner of Internal Revenue within two years from the time the claims or " canses of action" accrue, and if not so presented they are barred. Again,...
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