The Resource Full-value methods: has the IRS finally hurled the Holy Hand Grenade? A critical analysis of the scope of Par. 482, 367(d), and 936(h)(3)(B) in relation to goodwill, going concern value and workforce in place

Full-value methods: has the IRS finally hurled the Holy Hand Grenade? A critical analysis of the scope of Par. 482, 367(d), and 936(h)(3)(B) in relation to goodwill, going concern value and workforce in place

Label
Full-value methods: has the IRS finally hurled the Holy Hand Grenade? A critical analysis of the scope of Par. 482, 367(d), and 936(h)(3)(B) in relation to goodwill, going concern value and workforce in place
Title
Full-value methods: has the IRS finally hurled the Holy Hand Grenade? A critical analysis of the scope of Par. 482, 367(d), and 936(h)(3)(B) in relation to goodwill, going concern value and workforce in place
Creator
Subject
Language
eng
Summary
Analysis of IRS methods to estimate the economic value and to tax goodwill, going concern value and workforce in place: full-value methods, including legislative history
Citation source
In: Tax management international journal. - Arlington. - Vol. 37 (2008),
http://library.link/vocab/creatorName
Bowen, D.N
Geographic coverage
North America
Language note
English
http://library.link/vocab/subjectName
  • valuation
  • goodwill
  • going concern
  • cost sharing arrangement
Label
Full-value methods: has the IRS finally hurled the Holy Hand Grenade? A critical analysis of the scope of Par. 482, 367(d), and 936(h)(3)(B) in relation to goodwill, going concern value and workforce in place
Instantiates
Publication
Label
Full-value methods: has the IRS finally hurled the Holy Hand Grenade? A critical analysis of the scope of Par. 482, 367(d), and 936(h)(3)(B) in relation to goodwill, going concern value and workforce in place
Publication

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