Plaintiff, Associated, is an American corporation whose wholly-owned subsidiary, Automatic, owned all the stock of Filcrest, a Canadian corporation. In 1954 all the assets of Filcrest were distributed to Automatic pursuant to a plan of complete liquidation, accomplished in accordance with Canadian law. In its 1954 consolidated return, plaintiff treated the gain realized on the Filcrest liquidation as a capital gain, and also claimed a foreign tax credit for any Canadian income, war or excess profits taxes which Filcrest had paid over the years to Canada on that part of the liquidation distribution which represented Filcrest\u27s accumulated earnings and profits. The Commissioner of Internal Revenue assessed a deficiency, maintaining that th...
The Commissioner of Internal Revenue issued jeopardy assessments against the taxpayer, Omar, S.A., a...
The United States Supreme Court has held that a state taxing scheme, which treated corporate dividen...
As sole stockholder of the Robbins Tire and Rubber Company, the defendant managed and controlled the...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
Taxpayer, trustee of a domestic inter vivos trust, sued for a refund of United States income taxes p...
INCOME TAX--LIQUIDATION OF FOREIGN CORPORATIONS--SHAREHOLDERS IN A LIQUIDATING FOREIGN CORPORATION M...
P and B owned all the outstanding shares of X Corporation. In 1937 P purchased B\u27s shares and gav...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
Taxpayer, a corporate shareholder, received from the corporation a distribution of property which ha...
Taxpayer had the exclusive right for a period of ten years to purchase all the coal mined by the ope...
Defendant parent corporation received from its subsidiary 3,556,992 dollars in tax benefits which ha...
In 1948 petitioner and several other taxpayers, who had previously been active in constructing homes...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
The Courts of Appeals for the Sixth and Ninth Circuits are in conflict on the question of whether se...
Ordinarily, distributions by a personal holding company qualify for the dividends paid deduction onl...
The Commissioner of Internal Revenue issued jeopardy assessments against the taxpayer, Omar, S.A., a...
The United States Supreme Court has held that a state taxing scheme, which treated corporate dividen...
As sole stockholder of the Robbins Tire and Rubber Company, the defendant managed and controlled the...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
Taxpayer, trustee of a domestic inter vivos trust, sued for a refund of United States income taxes p...
INCOME TAX--LIQUIDATION OF FOREIGN CORPORATIONS--SHAREHOLDERS IN A LIQUIDATING FOREIGN CORPORATION M...
P and B owned all the outstanding shares of X Corporation. In 1937 P purchased B\u27s shares and gav...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
Taxpayer, a corporate shareholder, received from the corporation a distribution of property which ha...
Taxpayer had the exclusive right for a period of ten years to purchase all the coal mined by the ope...
Defendant parent corporation received from its subsidiary 3,556,992 dollars in tax benefits which ha...
In 1948 petitioner and several other taxpayers, who had previously been active in constructing homes...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
The Courts of Appeals for the Sixth and Ninth Circuits are in conflict on the question of whether se...
Ordinarily, distributions by a personal holding company qualify for the dividends paid deduction onl...
The Commissioner of Internal Revenue issued jeopardy assessments against the taxpayer, Omar, S.A., a...
The United States Supreme Court has held that a state taxing scheme, which treated corporate dividen...
As sole stockholder of the Robbins Tire and Rubber Company, the defendant managed and controlled the...