Matches in DBpedia 2016-04 for { ?s ?p "Mt. Morris Drive-in Theatre Co. v. Commissioner., 25 T.C. 272 (1955), was a case in which the court considered whether the $8,224 spent to construct a drive-in theatre's drainage system was deductible as an ordinary and necessary business expense, as a loss or if it was a non-depreciable capital expenditure. The court held that it was a capital expenditure."@en }
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- Mt._Morris_Drive-in_Theatre_Co._v._Commissioner abstract "Mt. Morris Drive-in Theatre Co. v. Commissioner., 25 T.C. 272 (1955), was a case in which the court considered whether the $8,224 spent to construct a drive-in theatre's drainage system was deductible as an ordinary and necessary business expense, as a loss or if it was a non-depreciable capital expenditure. The court held that it was a capital expenditure.".
- Q6930298 abstract "Mt. Morris Drive-in Theatre Co. v. Commissioner., 25 T.C. 272 (1955), was a case in which the court considered whether the $8,224 spent to construct a drive-in theatre's drainage system was deductible as an ordinary and necessary business expense, as a loss or if it was a non-depreciable capital expenditure. The court held that it was a capital expenditure.".
- Mt._Morris_Drive-in_Theatre_Co._v._Commissioner comment "Mt. Morris Drive-in Theatre Co. v. Commissioner., 25 T.C. 272 (1955), was a case in which the court considered whether the $8,224 spent to construct a drive-in theatre's drainage system was deductible as an ordinary and necessary business expense, as a loss or if it was a non-depreciable capital expenditure. The court held that it was a capital expenditure.".
- Q6930298 comment "Mt. Morris Drive-in Theatre Co. v. Commissioner., 25 T.C. 272 (1955), was a case in which the court considered whether the $8,224 spent to construct a drive-in theatre's drainage system was deductible as an ordinary and necessary business expense, as a loss or if it was a non-depreciable capital expenditure. The court held that it was a capital expenditure.".