Content area

Abstract

TD 8869 provides that general principles of tax law, including the step transaction doctrine, apply to the tax consequences of the transactions that include a qualified subchapter S subsidiary election.

Details

Title
IRS doesn't back down on applying step transaction doctrine to Qsubs
Author
Anonymous
Pages
2
Publication year
2000
Publication date
Jan 27, 2000
Publisher
CCH Incorporated: Federal and State Tax
ISSN
01623486
Source type
Trade Journal
Language of publication
English
ProQuest document ID
217983311
Copyright
Copyright Commerce Clearing House, Inc. Jan 27, 2000