共 50 条
- [1] APPLYING THE INVESTMENT CREDIT AND RECAPTURE RULES TO PARTNERSHIP TRANSACTIONS JOURNAL OF TAXATION, 1980, 52 (04): : 232 - 237
- [2] MANY PARTNERSHIP TRANSACTIONS WILL RESULT IN RECAPTURE OF INVESTMENT TAX CREDIT JOURNAL OF TAXATION, 1985, 62 (04): : 220 - +
- [4] NO RECAPTURE ON IMPROPERLY CLAIMED INVESTMENT CREDIT JOURNAL OF TAXATION, 1982, 56 (01): : 36 - 36
- [7] DISTRIBUTION OF PARTNERSHIP INTEREST IN CORPORATE LIQUIDATION TRIGGERED RECAPTURE JOURNAL OF TAXATION, 1984, 61 (03): : 198 - 198
- [8] INTERPLAY OF INVESTMENT CREDIT RECAPTURE AND SUB-S JOURNAL OF TAXATION, 1980, 53 (02): : 127 - 128
- [10] THE ALLOWANCE OF THE INVESTMENT TAX CREDIT UPON THE ACQUISITION OF A PARTNERSHIP INTEREST - REFORMING PRESENT IRS POLICY TAXES, 1985, 63 (06): : 413 - 416