1,369 research outputs found

    Alien Registration- Treadwell, Ernest H. (Madison, Somerset County)

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    https://digitalmaine.com/alien_docs/6865/thumbnail.jp

    TORTS - EFFECT OF ATTRACTIVE NUISANCE DOCTRINE ON MUNICIPAL LIABILITY TO CHILDREN ON THE STREETS

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    Plaintiff, an eight year old girl, stopped on the way home with a playmate to play around a newspaper stand located on the edge of the sidewalk. The stand was maintained by a vendor who was licensed by the city. While the plaintiff was standing beside the stand, her playmate swung from the top, causing it to topple over on the plaintiff and gash her forehead. Despite medical care infection set in and a disfiguring scar resulted. There was evidence that the stand had fallen over previously for various reasons. Held, that the defendant city was negligent in not using reasonable care to protect children from a dangerous agency which it should have known would attract children from a place where they had a right to be. The city had also breached its duty to keep the street free from obstructions. Harrison v. City of Chicago, 308 Ill. App. 263, 31 N. E. (2d) 359 (1941)

    TAXATION OF PARTNERSHIP ASSETS RECEIVED BY A DECEASED PARTNER AND HIS ESTATE

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    The raising of funds to pay taxes will probably be a major problem of business men for many years to come. Closely rivaling it, however, is the problem of computing the tax. Though the economic definitions of income may be relatively simple, the complex business relationships necessitating equally complex accounting procedures often make the computation of income extremely difficult. This was demonstrated in the recent case of Helvering v. Enright\u27s Estate, a tax case arising out of the death of a law partner. At the time of his death there were three types of assets which had been acquired by the firm: cash, accounts receivable, and unfinished business for which a fee had not yet been determined. The immediate issue was whether these items had been accrued to the decedent during his lifetime, but the discussion opened up the problem of the correlation of the income taxes imposed upon the decedent and those imposed upon his estate

    John H. Treadwell to Reuben Treadwell, 9 June 1842

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    https://egrove.olemiss.edu/aldrichcorr_b/1022/thumbnail.jp

    J.H. Treadwell to T.L. Treadwell, 1 October 1838

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    https://egrove.olemiss.edu/aldrichcorr_a/1088/thumbnail.jp

    John H. Treadwell to W.L. Treadwell, 6 November 1851

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    https://egrove.olemiss.edu/aldrichcorr_c/1008/thumbnail.jp

    J.H. Treadwell to T.. Treadwell, 21 September 1846

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    https://egrove.olemiss.edu/aldrichcorr_b/1132/thumbnail.jp

    J.H. Treadwell to Timmons Treadwell, 29 October 1847

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    https://egrove.olemiss.edu/aldrichcorr_b/1150/thumbnail.jp

    Last will and testament of Sarah Blanton, Rutherford, NC, 27 July 1824

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    https://egrove.olemiss.edu/aldrichcorr_a/1005/thumbnail.jp

    J.H. Treadwell to Gilead C. Treadwell, 12 March 1846

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    https://egrove.olemiss.edu/aldrichcorr_b/1129/thumbnail.jp
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