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Match these concepts/principles with their cases: - A. B. C. D. E. Market selling value is the amount for which stock could be sold in

Match these concepts/principles with their cases:

- A. B. C. D. E.

Market selling value is the amount for which stock could be sold in the ordinary course of the taxpayer's business.

- A. B. C. D. E.

Items that are held for leasing purposes are not trading stock.

- A. B. C. D. E.

For trading stock to be on hand the taxpayer must have the power to dispose of it.

- A. B. C. D. E.

Trading stock can be on hand even though it is not in the physical possession of the taxpayer.

- A. B. C. D. E.

Trading stock can be on hand even where a taxpayer does not have legal ownership of it

A.

Australasian Jam Co Pty Ltd v FCT (1953)

B.

FCT v Suttons Motors (Chullora) Wholesale Pty Ltd (1985)

C.

Farnsworth v FCT (1949)

D.

FCT v Cyclone Scaffolding Pty Ltd (1987)

E.

All States Frozen Foods Pty Ltd v FCT (1990)

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