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Suppose you are researching whether your corporate client's specific facts relating to its acquisition of another corporation qualify for tax deferral under 368. Given what
Suppose you are researching whether your corporate client's specific facts relating to its acquisition of another corporation qualify for tax deferral under 368. Given what you have read about Treasury Regulations, IRS Revenue Rulings, and Revenue Procedures, from which of these three sources would you expect to provide the most helpful guidance relevant for your client's issues? Why do you expect that?
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