The 1983 U.S. Supreme Court decision in Commissioner v Tufts established the modern rule that requires a taxpayer to include the full amount of a nonrecourse note in the amount realized on the disposition of a property, notwithstanding the fair market value of the property. Although not fully understood at the time, this holding has had a large impact on the ability of a financially troubled debtor to defer cancellation of indebtedness income under § 108 of the Internal Revenue Code. Presently, § 108 allows a borrower who is insolvent or in a title 11 bankruptcy proceeding to defer the recognition of COD income, rather than recognize it as a gain. Under Tufts, when a property is transferred with a fairmarket value below the nonrecourse debt...
This article joins the debate by maintaining that at least three basis figures are conceivable and, ...
This article joins the debate by maintaining that at least three basis figures are conceivable and, ...
This article examines the judicial and administrative development of the two holding requirements un...
The 1983 U.S. Supreme Court decision in Commissioner v Tufts established the modern rule that requir...
The 1983 U.S. Supreme Court decision in Commissioner v Tufts established the modern rule that requir...
The United States Supreme Court has used its decision in Commissioner v. Tufts to settle a conflict ...
A 1995 decision by the Eighth Circuit Court of Appeals has dramatized once again that there is relie...
In the Tax Reform Act of 1976, Congress altered the treatment of basis in property acquired from a d...
The United States Supreme Court has granted certiorari to the United States Court of Appeals for the...
A 1998 Tax Court case has focused attention once again on the income tax consequences of mortgage fo...
Crane v. Commissioner and its famous footnote 37 have inspired much controversy and commentary. This...
In Massachusetts, as well as in twenty-eight other states in the nation, municipalities can sell del...
The United States Supreme Court has granted certiorari to the United States Court of Appeals for the...
The United States is awash in a sea of debt. In the midst of the most severe recession since the Gre...
With the recent decline in the real estate market, many taxpayers, both individually and/or in partn...
This article joins the debate by maintaining that at least three basis figures are conceivable and, ...
This article joins the debate by maintaining that at least three basis figures are conceivable and, ...
This article examines the judicial and administrative development of the two holding requirements un...
The 1983 U.S. Supreme Court decision in Commissioner v Tufts established the modern rule that requir...
The 1983 U.S. Supreme Court decision in Commissioner v Tufts established the modern rule that requir...
The United States Supreme Court has used its decision in Commissioner v. Tufts to settle a conflict ...
A 1995 decision by the Eighth Circuit Court of Appeals has dramatized once again that there is relie...
In the Tax Reform Act of 1976, Congress altered the treatment of basis in property acquired from a d...
The United States Supreme Court has granted certiorari to the United States Court of Appeals for the...
A 1998 Tax Court case has focused attention once again on the income tax consequences of mortgage fo...
Crane v. Commissioner and its famous footnote 37 have inspired much controversy and commentary. This...
In Massachusetts, as well as in twenty-eight other states in the nation, municipalities can sell del...
The United States Supreme Court has granted certiorari to the United States Court of Appeals for the...
The United States is awash in a sea of debt. In the midst of the most severe recession since the Gre...
With the recent decline in the real estate market, many taxpayers, both individually and/or in partn...
This article joins the debate by maintaining that at least three basis figures are conceivable and, ...
This article joins the debate by maintaining that at least three basis figures are conceivable and, ...
This article examines the judicial and administrative development of the two holding requirements un...