I:16-15 Discuss the underlying rationale for the nonrecognition of gain or loss in a Sec. 351 transaction.

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I:16-15 Discuss the underlying rationale for the nonrecognition of gain or loss in a Sec. 351 transaction.

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Pearsons Federal Taxation Corporations Partnerships Estates And Trust 2023

ISBN: 9780137730391

36th Edition

Authors: KENNETH E. ANDERSON, DAVID S. HULSE, TIMOTHY J. RUPERT Richard J. Joseph LeAnn Luna

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