Semantic Analysis by spaCy
Spring City Foundry Co. Vs. Commissioner
Decided On : Apr-30-1934
Court : US Supreme Court
LAW: under Revenue Act, the Revenue Act, the Revenue Act, the Revenue Act, Page 292 U. S. 184 , Page 292 U. S. 185 , Article 35 of Regulations 45, the Revenue Act, the Revenue Act, Article 151 of Regulations 45, Article 561, the Revenue Act, the Revenue Act, Article 151, the Revenue Act, the Revenue Act, Article 55, Article 151 of Regulations 45, Article 151 of Regulations 45, Article 151, Section 214, Section 214, the Revenue Act
ORG: Spring City Foundry Co., U.S. Supreme Court, Spring City Foundry Co., Spring City, Syllabus, the Board of Tax Appeals, Court, the Cotta Transmission Company, the Cotta Company, Company, the Board of Tax Appeals, Board, the Circuit Court of Appeals, Court, American National Co., the Board of Tax Appeals, Government, the Circuit Court of Appeals, Congress, Worthless, the Treasury Department, Congress, the Treasury Department, Shwab v. Doyle, the Committee on Ways and Means, the House of Representatives, Committee, the Finance Committee, Senate, Senate, House, the Treasury Department Page 292 U. S. 188 , The Treasury Department, the Board of Tax Appeals, Western Casket Co., Toccoa Furniture Co., the Circuit Court of Appeals, the Second Circuit, Sherman & Bryan, the Court of Appeals of the District of Columbia, Davidson Grocery Co., Lucas, the Circuit Courts of Appeals, the Eighth Circuit, Minnehaha National Bank, the Fifth Circuit, Collin County National Bank, Lewellyn v. Electric Reduction Co., Page 292 U. S. 190 , the Circuit Court of Appeals, Davidson Grocery Co., Lucas, Murchison National Bank, Compare Minnehaha National Bank, Collin County National Bank v. Commissioner, Revised, Revised, Committee, Treasury, III-2, A.R. 8226, III-2, the Board of Tax Appeals, Board
CARDINAL: 292, 292, 727, 728, 292, 1, 2, 3, 5, 4, 67, 385, 387, 291, 25, 822, 234(a)(4, 234(a)(5, 40, two, 25, 822, 67, 385, 387, 1, 1, 2, 199, 30, 628, 629, 2, 3, 234(a)(5, 254, 6, 8, 1, 299, 302, 12, 792, 797, 12, 804, 35, 713, 716, 59, 176, 37, 806, 808, 28, 763, 764, 48, 207, 208, 234(a)(5, 3, 234(a)(4, 5, 5, 4, 4, 4, 1, 35, 713, 716, 59, 176, 37, 806, 50 F.2d, 28, 763, 48, 207, 208, 2, 3, 4, 5, 350, 11, 234(a)(5, 6, 275, 14, 6, 152, 153, 114, 115, 116, 119, 8, at least twenty-three, 25, 834
GPE: U.S., U.S., U.S., U.S., United States, United States, I-1
DATE: 1934, 1934, April 3, 1934, April 30, 1934, the tax year, that year, that year, 45, 1918, 1918, the taxable year, 1918, the taxable year, the taxable year, the year 1920, 1920, that year, 1918, 1077, that year, the year 1920, that year, March, 1920, September, 1920, 1920, December 23, 1920, the spring of 1922, 1923, December 28, 1920, that year, 1922, 1923, those years, 1920, 1923, 1920, November, 1920, 1920, 1920, 1920, that year, 1918, 274 U. S. 99, the same year, 1918, the taxable year, the taxable year, 1920, 1920, that year, 1920, 1918, 1916, the taxable year, 1921, the taxable year, 258 U. S. 529, 1921, 1918, 1918, 805, 1918, the taxable year, 1923, that year, 1918, the taxable year, 1920, 1923, 1056, January 28, 1921, 61, 5814, 5939-5941, 6109, 6110, 6727, 3262, January-June, 1922, January 1, 1921, A.R.R. 7895, July December, 1924, 1918
PERSON: Regs, CHIEF JUSTICE, Anderson, Brown, Debts, Russell, Grissom, Cong, Cumulative Bulletin, Cumulative Bulletin, Cumulative Bulletin
PRODUCT: Certiorari, Inc., Inc.
MONEY: 39,983.27, 28,715.76, 28,715.76
PERCENT: 15 percent, 12 1/2 percent, 33 1/3 percent
ORDINAL: second, first, 67th, 67th
QUANTITY: 42 Stat