Plaintiff held common and preferred stock of the Gulf States Paper Corporation. In 1942 plaintiff received new debentures in exchange for his preferred stock, pursuant to a plan for the recapitalization of the company whereby the entire 25,000 shares of previously outstanding preferred stock (including plaintiff\u27s 208 shares) were exchanged for new debentures of like value. In 1950 the Commissioner assessed an income tax deficiency against plaintiff, determining that the redemption and cancellation of the preferred stock represented a distribution essentially equivalent to the distribution of a dividend and taxable under section 115(g)(1) of the Internal Revenue Code. Plaintiff sued for refund of the amounts paid on the deficiency assess...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
Acquisitive reorganizations either by consolidation or statutory merger have become a popular means ...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
Plaintiff held common and preferred stock of the Gulf States Paper Corporation. In 1942 plaintiff re...
Petitioner owned more than three-fourths of the stock in a corporation whose shares had a par value ...
In 1946 petitioner received a pro-rata dividend of preferred stock of the distributing corporation, ...
X corporation had two classes of stock outstanding. The Class A stock was a preferred stock entitled...
The recent Supreme Court decision in Le Tulle v. Scofield, disapproving the views of four out of fiv...
P and B owned all the outstanding shares of X Corporation. In 1937 P purchased B\u27s shares and gav...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
Stock and securities of controlled corporations may be distributed to shareholders, tax free, in cas...
The Courts of Appeals for the Sixth and Ninth Circuits are in conflict on the question of whether se...
Distributions implies that we are concerned with the tax problems of the stockholder rather than th...
Among the sections added to the revised version of the Internal Revenue Code of 1954 was section 306...
An individual wished to buy certain patents from a corporation, and at his instigation, the corporat...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
Acquisitive reorganizations either by consolidation or statutory merger have become a popular means ...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
Plaintiff held common and preferred stock of the Gulf States Paper Corporation. In 1942 plaintiff re...
Petitioner owned more than three-fourths of the stock in a corporation whose shares had a par value ...
In 1946 petitioner received a pro-rata dividend of preferred stock of the distributing corporation, ...
X corporation had two classes of stock outstanding. The Class A stock was a preferred stock entitled...
The recent Supreme Court decision in Le Tulle v. Scofield, disapproving the views of four out of fiv...
P and B owned all the outstanding shares of X Corporation. In 1937 P purchased B\u27s shares and gav...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
Stock and securities of controlled corporations may be distributed to shareholders, tax free, in cas...
The Courts of Appeals for the Sixth and Ninth Circuits are in conflict on the question of whether se...
Distributions implies that we are concerned with the tax problems of the stockholder rather than th...
Among the sections added to the revised version of the Internal Revenue Code of 1954 was section 306...
An individual wished to buy certain patents from a corporation, and at his instigation, the corporat...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
Acquisitive reorganizations either by consolidation or statutory merger have become a popular means ...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...