This Article suggests that although one part of a corporate distribution may be analogous to a sale and the remainder to a dividend, there is no overlap of, or competition between, analogies. This lack of overlap is apparent when one realizes that a dividend and a sale are methods of realizing different types of gain, rather than alternative methods of realizing the same type of gain. This Article examines the basic conceptual model underlying the present system of taxing corporate distributions, describes the appropriate treatment of corporate distributions that is suggested by an understanding of the underlying concepts, and indicates the discrepancies between the present Code and this model
Stock and securities of controlled corporations may be distributed to shareholders, tax free, in cas...
Redemption and salvation are doctrinal terms suggestive of the enthusiasm of the camp meeting. It is...
D. B. Anders was the sole stockholder of D. B. Anders, Inc., an industrial service concern which ren...
This Article suggests that although one part of a corporate distribution may be analogous to a sale ...
This Article suggests that although one part of a corporate distribution may be analogous to a sale ...
The taxation of corporate distributions and shareholder gain is an area of the Internal Revenue Code...
Distributions implies that we are concerned with the tax problems of the stockholder rather than th...
The dividends paid deduction provided for in section 561 of the Internal Revenue Code is of vital im...
Under the Internal Revenue Code of 1954, the corporation is aseparate taxable entity, so that corpor...
Modern dividend statutes, as exemplified by the Model Business Corporation Act, have incorporated ma...
The paper attempts to access the likely distributional effects of the corporate tax reform in Greece...
Excerpt: This article will examine the applicability of the constructive distribution rules to S cor...
Taxpayer, a corporate shareholder, received from the corporation a distribution of property which ha...
Professor Blum advocates repeal of the earnings and profits limitation on dividend income. Profess...
Since 1936, the Internal Revenue Code has treated elective stock dividends on common stock, which ar...
Stock and securities of controlled corporations may be distributed to shareholders, tax free, in cas...
Redemption and salvation are doctrinal terms suggestive of the enthusiasm of the camp meeting. It is...
D. B. Anders was the sole stockholder of D. B. Anders, Inc., an industrial service concern which ren...
This Article suggests that although one part of a corporate distribution may be analogous to a sale ...
This Article suggests that although one part of a corporate distribution may be analogous to a sale ...
The taxation of corporate distributions and shareholder gain is an area of the Internal Revenue Code...
Distributions implies that we are concerned with the tax problems of the stockholder rather than th...
The dividends paid deduction provided for in section 561 of the Internal Revenue Code is of vital im...
Under the Internal Revenue Code of 1954, the corporation is aseparate taxable entity, so that corpor...
Modern dividend statutes, as exemplified by the Model Business Corporation Act, have incorporated ma...
The paper attempts to access the likely distributional effects of the corporate tax reform in Greece...
Excerpt: This article will examine the applicability of the constructive distribution rules to S cor...
Taxpayer, a corporate shareholder, received from the corporation a distribution of property which ha...
Professor Blum advocates repeal of the earnings and profits limitation on dividend income. Profess...
Since 1936, the Internal Revenue Code has treated elective stock dividends on common stock, which ar...
Stock and securities of controlled corporations may be distributed to shareholders, tax free, in cas...
Redemption and salvation are doctrinal terms suggestive of the enthusiasm of the camp meeting. It is...
D. B. Anders was the sole stockholder of D. B. Anders, Inc., an industrial service concern which ren...