Petitioner owned more than three-fourths of the stock in a corporation whose shares had a par value of $100. Except for one share, his wife owned the remainder. Under a plan of recapitalization the stockholders received in exchange for each old share, five shares of no par stock with a stated value of $60 per share plus a portion of $400,000 worth of callable debentures issued by the corporation. At the time of this exchange the earned surplus of the corporation exceeded $850,000. The commissioner held that the full value of the debentures received was chargeable to the taxpayer as income. The Tax Court agreed, although the corporation had complied with the literal terms of the statute, something more, a legitimate corporate purpose, was ne...
X corporation had two classes of stock outstanding. The Class A stock was a preferred stock entitled...
Distributions implies that we are concerned with the tax problems of the stockholder rather than th...
Transactions involving forgiveness by stockholder-employees of corporate indebtedness are shrouded i...
Petitioner owned more than three-fourths of the stock in a corporation whose shares had a par value ...
An individual wished to buy certain patents from a corporation, and at his instigation, the corporat...
Plaintiff held common and preferred stock of the Gulf States Paper Corporation. In 1942 plaintiff re...
The recent Supreme Court decision in Le Tulle v. Scofield, disapproving the views of four out of fiv...
A corporation charged off notes as worthless prior to 1942. Anticipating future collections on the n...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
In 1948 petitioner and several other taxpayers, who had previously been active in constructing homes...
Max Schuster operated a wholesale business in semi-precious stones in the form of a sole proprietors...
Stock and securities of controlled corporations may be distributed to shareholders, tax free, in cas...
Liquidations and reincorporations have been utilized in attempts to bail out corporate earnings and ...
X corporation had two classes of stock outstanding. The Class A stock was a preferred stock entitled...
Distributions implies that we are concerned with the tax problems of the stockholder rather than th...
Transactions involving forgiveness by stockholder-employees of corporate indebtedness are shrouded i...
Petitioner owned more than three-fourths of the stock in a corporation whose shares had a par value ...
An individual wished to buy certain patents from a corporation, and at his instigation, the corporat...
Plaintiff held common and preferred stock of the Gulf States Paper Corporation. In 1942 plaintiff re...
The recent Supreme Court decision in Le Tulle v. Scofield, disapproving the views of four out of fiv...
A corporation charged off notes as worthless prior to 1942. Anticipating future collections on the n...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
In 1948 petitioner and several other taxpayers, who had previously been active in constructing homes...
Max Schuster operated a wholesale business in semi-precious stones in the form of a sole proprietors...
Stock and securities of controlled corporations may be distributed to shareholders, tax free, in cas...
Liquidations and reincorporations have been utilized in attempts to bail out corporate earnings and ...
X corporation had two classes of stock outstanding. The Class A stock was a preferred stock entitled...
Distributions implies that we are concerned with the tax problems of the stockholder rather than th...
Transactions involving forgiveness by stockholder-employees of corporate indebtedness are shrouded i...