共 50 条
- [31] ITT CONSIDERED, REJECTED A MERGER OF BRITISH SUBSIDIARY WITH PLESSEY LASER FOCUS WITH FIBEROPTIC TECHNOLOGY, 1979, 15 (03): : 43 - 43
- [33] Sub's merger into target followed by upstream merger into parent treated as one statutory merger JOURNAL OF TAXATION, 2001, 95 (04): : 195 - 195
- [34] LIQUIDATION AND REORGANIZATION RULES MAY BOTH APPLY TO THE SAME TRANSACTION JOURNAL OF TAXATION, 1980, 53 (01): : 5 - 5
- [36] SECURED CREDITORS RIGHT TO FULL LIQUIDATION VALUE IN CORPORATE REORGANIZATION UNIVERSITY OF CHICAGO LAW REVIEW, 1975, 42 (03): : 510 - 529
- [37] HOW A SUBSIDIARY CAN SUPPORT A PARTIAL LIQUIDATION OF ITS PARENT - IRS POSITION JOURNAL OF CORPORATE TAXATION, 1978, 5 (03): : 257 - 262
- [38] Avoidance of 332 was bona fide - Parent could take loss on liquidation of subsidiary JOURNAL OF TAXATION, 2002, 96 (03): : 186 - 187