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Fawick Corp. v. Commissioner of Internal Revenue
1965.C06.40214 342 F.2D 823
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- 0,99 €
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- 0,99 €
Beschreibung des Verlags
The question before us is whether under the 1939 Internal Revenue Code a net operating loss of a corporation, which occurred before another corporation was merged into it, could be carried forward to reduce profits accruing after the merger but attributable solely to that part of its business that was brought to it by the absorbed corporation.