a. What original action (acquiescence or nonacquiescence) did the IRS Commissioner take regarding the 1952 Tax Court
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c. Did the IRS Commissioner subsequently change his mind? If so, when?
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a Acquiescence See 19531 CB 6 b Partial ...View the full answer
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Related Book For
Federal Taxation 2016 Comprehensive
ISBN: 9780134104379
29th Edition
Authors: Thomas R. Pope, Timothy J. Rupert, Kenneth E. Anderson
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