The sale of property by a taxpayer to a corporation which he controls has been a frequently attempted method of tax reduction for more than thirty years. Such a transaction has the advantage of maintaining ownership of the property in virtually the same hands, while at the same time resulting in a substantial mitigation of tax liability. For instance, in the post-World War II period, when property values were generally increasing, a taxpayer could sell to his controlled corporation at a gain depreciable property with a basis lowered by adjustments for prior depreciation allowances. The gain was immediately taxable at the capital gains rate, but the sale price established a new basis for depreciation for the controlled corporation, which, in...
Taxation - Internal Revenue Act - Under the federal Revenue Act of i921 the taxable profit or deduct...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
Investors in depreciable assets used in a trade or business claim depreciation deductions following ...
The sale of property by a taxpayer to a corporation which he controls has been a frequently attempte...
Mr. Ellis examines the tax consequences arising when a taxpayer sells appreciated property to a cont...
In order to prevent the distribution of corporate income in the form of preferred stock which, upon ...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
In 1946 petitioner received a pro-rata dividend of preferred stock of the distributing corporation, ...
Since the enactment of the individual income tax in 1913, the appropriate taxation of capital gains ...
Since the enactment of the individual income tax in 1913, the appropriate taxation of capital gains ...
With higher corporate tax rates and more emphasis by the Treasury on taxing distributions to stockho...
In 1948 petitioner and several other taxpayers, who had previously been active in constructing homes...
Taxation - Internal Revenue Act - Under the federal Revenue Act of i921 the taxable profit or deduct...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
Investors in depreciable assets used in a trade or business claim depreciation deductions following ...
The sale of property by a taxpayer to a corporation which he controls has been a frequently attempte...
Mr. Ellis examines the tax consequences arising when a taxpayer sells appreciated property to a cont...
In order to prevent the distribution of corporate income in the form of preferred stock which, upon ...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
In 1946 petitioner received a pro-rata dividend of preferred stock of the distributing corporation, ...
Since the enactment of the individual income tax in 1913, the appropriate taxation of capital gains ...
Since the enactment of the individual income tax in 1913, the appropriate taxation of capital gains ...
With higher corporate tax rates and more emphasis by the Treasury on taxing distributions to stockho...
In 1948 petitioner and several other taxpayers, who had previously been active in constructing homes...
Taxation - Internal Revenue Act - Under the federal Revenue Act of i921 the taxable profit or deduct...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
Investors in depreciable assets used in a trade or business claim depreciation deductions following ...