The 2023 Florida Statutes (including Special Session C)
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. . . under which Clemmons’ employer deducted from her wages and remitted to USAF’s attorney the sum of $250.52 . . . USAF argues further that because Clemmons’ substantial income permitted a $250.52 deduction twice a month . . .
. . . Company’s separate return for the period July 3 to December 31, 1925, showed a net loss in the amount of $250.52 . . .