Federal Income Taxation of Corporations and Partnerships, Seventh Edition
Federal Income Taxation of Corporations and Partnerships, Seventh Edition
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New to the Seventh Edition:
- Revised and expanded explanation of §351 contributions with boot and with assumption of liabilities, including examples and illustrative diagrams
- Discussion of new corporate alternative minimum tax
- Revised and expanded explanation of §332 subsidiary liquidations, with Associated Wholesale Grocers summarized and explained rather than reported in full
- Revised and expanded explanation of taxable acquisitions and §338 elections, including coordinated examples in different situations and illustrative diagrams
- Expanded discussion of the effect of prior and subsequent transactions on reorganizations, with new addition of J.E. Seagram Corp. and notes, and revised and expanded discussion of multi-step mergers, with Rev. Rul. 2008-25 summarized and explained rather than reported in full
- New discussion of the excise tax on the repurchase of corporate stock
- Expanded discussion of the treatment of consolidated groups
- Streamlined partnership discussion by removing coverage of non-Subchapter K loss limitations
- New note on private equity waivers of guaranteed payments in favor of additional profit shares and the government response under section 707(a)(1)
- New note on partnership basis shifting transactions and the government’s responses
- Additional and revised problems in Subchapter K chapters
- Problems and examples in addition to cases and notes to cover all aspects of the subject
- Additional and revised problems in Subchapter K chapters
- Illustrations of typical commercial transactions
- Flexible enough to be used in two-, three-, or four-credit courses
- Stand-alone coverage of C corporations, S corporations, and partnerships
Contents
Preface
PART I SUBCHAPTER C CORPORATIONS
Chapter 1. Introduction to the Corporate Income Tax
Chapter 2. Corporate Formation
Chapter 3. Corporate Operation
Chapter 4. Distributions of Cash and Property
Chapter 5. Redemptions and Partial Liquidations
Chapter 6. Distributions of Stock
Chapter 7. Liquidations
Chapter 8. Integration of the Corporate and Individual Income Taxes
Chapter 9. Taxable Acquisitions
Chapter 10. Acquisitive Reorganizations
Chapter 11. Divisive Reorganizations
Chapter 12. One-Party Reorganizations
Chapter 13. Combining Tax Attributes: Net Operating Losses and Affiliated Corporations
Chapter 14. Penalty Provisions
Chapter 15. The Corporation as a Separate Taxable Entity
PART II SUBCHAPTER S CORPORATIONS
Chapter 16. S Corporations: Overview
Chapter 17. S Corporations: Selected Topics
Chapter 18. Transition Issues
PART III SUBCHAPTER K PARTNERSHIPS
Chapter 19. The Structure of Partnership Taxation
Chapter 20. Determining Distributive Shares
Chapter 21. Partner’s Outside Basis
Chapter 22. Nonliquidating Distributions
Chapter 23. Acquisitions of Partnership Interests
Chapter 24. A Partner’s Transactions with the Partnership
Chapter 25. Dispositions of Partnership Interests
Chapter 26. Inside Basis Adjustments
Chapter 27. Partnership-Level Issues
Table of Cases
Table of Revenue Rulings and Procedures
Index
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Federal Income Taxation of Corporations and Partnerships, Seventh Edition
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