共 50 条
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- [23] TAKING ADVANTAGE OF THE TRANSITIONAL RULES FOR COMPLETE LIQUIDATIONS OF C-CORPORATIONS AND S-CORPORATIONS REQUIRES IMMEDIATE PLANNING TAXES, 1987, 65 (08): : 491 - 513
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- [27] AN EMPIRICAL MEASUREMENT OF THE BUILT-IN FLEXIBILITY OF THE INDIVIDUAL INCOME-TAX AMERICAN ECONOMIC REVIEW, 1959, 49 (02): : 532 - 541
- [28] IRS WILL LET SOME FOREIGN CORPORATIONS RETURN TO THEIR PREVIOUSLY USED TAX YEAR JOURNAL OF TAXATION, 1995, 82 (05): : 259 - 259
- [29] IRS CLARIFIES FOREIGN-SITUS TRUSTS AS BILL TO END SOME TAX BENEFITS DIES JOURNAL OF TAXATION, 1960, 13 (04): : 199 - 202
- [30] FEDERAL TAXATION OF S-CORPORATIONS AND SHAREHOLDERS, 2ND EDITION - BRAVENAC,LL JOURNAL OF ACCOUNTANCY, 1989, 167 (06): : 181 - 181