The 2023 Florida Statutes (including Special Session C)
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. . . the net worth of the Association to be maintained at a level consistent with that required by Section 583.13 . . .
. . . . §§ 583.13, 583.14, 583.17-583.-20 (1961), F.S.A. . . . .
. . . . §§ 583.13, 583.14, 583.17-583.-20 (1961), F.S.A. . . . .
. . . $1,200.00 charged the taxpayer for office rent and the services of a lady who acted as bookkeeper and $583.13 . . . For these services the custodian was paid $583.13 in 1930. Mr. . . .
. . . In that case the deduction embraced the sum of $583.13 paid a trust company for commissions charged by . . .
. . . The deduction embraced the sum of $583.13 paid a trust company for commissions charged by it in collecting . . . For these services the custodian was paid $583.13 in 1930. Mr. . . .
. . . Commissions for collecting income, $583.13, and business expenses, $1,200, for keeping records, have . . . placed some'of her securities with a trust company to collect the income, and paid the trust company $583.13 . . . dissenting: I am of the opinion that the petitioner is entitled to deduct from gross income of 1930, $583.13 . . . paid by the petitioner as her proper share of the secretary’s compensation and office rent and the $583.13 . . .
. . . November 20, 1925, as set out in article 15 of the petition, the sum of $2,366.73, less a credit of $583.13 . . .