REGULATION 1.1502

Sep 9, 11
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  • in consolidation under Treasury Department Regulation 1.1502-14(a), as amended through. December 31, 1989; (ii) the remaining 20 percent of dividends if the .
  • Oct 23, 2009 – Treasury Regulations, Subchapter A, Sec. 1.1502-13. From .
  • Treasury Regulation 1.1502-13 governs the effect of "intercompany transactions" . Treasury Regulation 1.1502-13 provides that an intercompany transaction is .
  • 26 CFR 1.1502-1 - Definitions. - Code of Federal Regulations - Title 26: Internal Revenue - PART 1: INCOME TAXES (CONTINUED) - Id 19707732 - TITLE 26 .
  • Feb 11, 2004 – Reg. s.1.1502-13(g)(3)(i)(B)(4) of the current regulations, it is possible that the deemed satisfaction and reissuance provisions of Treas. .
  • by Supreme Court - 2001 - Cited by 149 - Related articles
  • May 10, 2005 – Treasury Regulations, Subchapter A, Sec. 1.1502-75. From TaxAlmanac, A Free Online Resource for Tax Professionals. Note: You are using .
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  • May 10, 2005 – Treasury Regulations, Subchapter A, Sec. 1.1502-6. From TaxAlmanac, A Free Online Resource for Tax Professionals. Note: You are using this .
  • The Commissioner seeks to apply Regulation 1.1502-35A to Steel's receipt of . Steel argues that there can be no such excess under Regulation 1.1502-35A, .
  • 26 C.F.R. § 1.1502-94 Coordination with section 382 and the regulations thereunder when a corporation becomes a member of a consolidated group. Title 26 .
  • When regulation 1.1502 they reached the hilltop, Garion was breathless and laughing with sheer delight. He reined in, and Chretienne reared, pawing at the .
  • May 10, 2005 – Treasury Regulations, Subchapter A, Sec. 1.1502-11. From TaxAlmanac, A Free Online Resource for Tax Professionals. Note: You are using .
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  • May 10, 2005 – Treasury Regulations, Subchapter A, Sec. 1.1502-12. From TaxAlmanac, A Free Online Resource for Tax Professionals. Note: You are using .
  • Sep 1, 2011 – For example, S's items restored under §1.1502–13 immediately before it becomes a nonmember are taken into account in determining the .
  • Feb 9, 2009 – Former Regulations Under §1.1502-13(g) (the Former Regulations) . .. Sections 1.1502-13 and 1.1502-28 also issued under 26 U.S.C. 1502. .
  • 00-5098), held that the loss disallowance regulations under Section 1.1502-20 are invalid. Since Treasury Regulations are not struck down too often, this is a .
  • Mar 3, 2011 – Treasury Regulation § 1.1502-13 provides the rules for taking into account . The matching rule of Treasury Regulation § 1.1502-13(c) is the .
  • Aug 15, 2011 – 1.1502-80 Applicability of other provisions of law. . apply, but may be modified by the intercompany transaction regulations under §1.1502–13. .
  • May 10, 2005 – Treasury Regulations, Subchapter A, Sec. 1.1502-32T. From TaxAlmanac, A Free Online Resource for Tax Professionals. Note: You are using .
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  • The regulation, 1.1502-13(e), proposed on Sept. 28, 2007, would have eliminated the tax deduction for reserves established by captive insurers for insurance .
  • Sep 15, 2010 – The purpose of the regulation is to provide rules for reporting . with the most recently enacted provisions of Treasury Regulation 1.1502-13. .
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  • by Court of Appeals, 2nd Circuit - 1970 - Cited by 23 - Related articles
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  • May 10, 2005 – Treasury Regulations, Subchapter A, Sec. 1.1502-21. From .
  • [sections] 1.1502-14. By contrast, the proposed regulations include such transactions within the broader re-definition of intercompany transactions, and provide .
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  • (i) The rules of this paragraph (b) apply after the rules of §1.1502–32 are applied. . Revenue Code and regulations thereunder, on a return filed by the group of .
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  • by Court of Appeals, 5th Circuit - 1979 - Cited by 42 - Related articles
  • Aug 1, 2011 – §1.1502-13T along with Proposed Regulations which addressed the tax consequences with respect to intercompany gains of subsidiary stock .
  • 26 CFR 1.1502-33 - Earnings and profits. - Code of Federal Regulations - Title 26 : Internal Revenue - PART 1: INCOME TAXES (CONTINUED) - Id 19707838 .
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  • May 10, 2005 – Treasury Regulations, Subchapter A, Sec. 1.1502-32. From TaxAlmanac, A Free Online Resource for Tax Professionals. Note: You are using .
  • WAndreozzi@BDO.com. On January 16, 2007, Treasury issued Proposed Regulation 1.1502-36 as its next attempt to combat artificial and duplicated losses by .
  • During the year ended June 30, 1982, P acquired S1 in a transaction, which pursuant IRS regulation 1.1502-75(d)(3) qualified as a reverse acquisition. .
  • Nov 4, 2004 – In that case, the loss disallowance rules under Treasury Regulations section 1.1502-20, which prevent a consolidated group from recognizing .
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  • Feb 1, 1994 – The major change included in the proposed regulations is the amendment of Regs. Sec. 1.1502-32, "Investment adjustments. .

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