Journal of Corporate Taxation 2000 |
Title | Subject | Authors |
A "hunch" about LTR 199935042.(possible death of the continuity of shareholder interest (COSI)) | Law | Bailine, Richard W. |
Continuity in a split-off - why so strict?(continuity of interest in IRC section 355 distributions) | Law | Bailine, Richard W. |
Final 367 regulations govern the treatment of section 355 distributions by U.S. corporations to foreign persons.(IRC section 355 and 367) | Law | Engle, Howard S. |
IRS declares bond-and-option sales strategy transactions abusive. | Law | Friedrich, Craig W. |
Mexico's maquiladora program: the new agreement. | Law | Engle, Howard S. |
New rules of the game: the SEC regulates tax opinions. | Law | Rizzi, Robert A. |
Outbound transfers of domestic stock and the substantiality requirement. | Law | Bailine, Richard W. |
"Regular, normal distributions" and the substantially all requirement. | Law | Bailine, Richard W. |
Section 357(d) - old can, new worms.(closure of an international corporate tax shelter may initiate a change in the role of debt in property transactions under income tax laws) | Law | Bogdanski, John A. |
Structuring U.S. operations for foreign corporations in the current tax climate. | Law | Lau, Paul C., Auster, Rolf |
The COBRA obligations of parties to a corporate transaction.(Consolidated Omnibus Budget Reconciliation Act of 1985) | Law | Hyun, Jonathan E. |
The effect of worker misclassification on employee benefit plans or surprise, I'm your employee - now give me those stock options! | Law | Neiburger, Ben A. |
Through a lens darkly: proposed "C" reorganization regulations clear up the Bausch & Lomb problem. | Law | Rizzi, Robert A. |
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