Cite
981 F.2d 456 (US Ct. App., 9th Circ., 1992)
Summary
Redemption by a corporation of wife’s stock, which was jointly held by divorcing spouses, is not a taxable event.
[ Full Opinion ]
981 F.2d 456 (US Ct. App., 9th Circ., 1992)
Redemption by a corporation of wife’s stock, which was jointly held by divorcing spouses, is not a taxable event.
[ Full Opinion ]