| United States. Congress. Senate. Committee on Finance - United States - 1939 - 1104 pages
...without the recognition of gain it it were the sole consideration, and as part of the consideration another party to the exchange assumed a liability...subject to a liability, such assumption or acquisition shall not be considered as "other property or money" received by the taxpayer within the meaning of... | |
| Administrative law - 1941 - 1688 pages
...(relating to basis of property) Is amended by inserting before the last sentence thereof the following: "Where as part of the consideration to the taxpayer...acquisition (In the amount of the liability) shall, for the purposes of this paragraph, be considered as money received by the taxpayer upon the exchange."... | |
| Administrative law - 1940 - 1806 pages
...without the recognition of gain If It were the sole consideration, and as part of the consideration Secretary, there may shall not be considered as "other property or money" received by the taxpayer within the meaning of... | |
| United States - Law - 1964 - 1098 pages
...value at the date of the exchange. For purposes of this section, section 1035(a), and section 1036 (a), where as part of the consideration to the taxpayer...as money received by the taxpayer on the exchange. (As amended Sept. 22, 1959, Pub. L. 86-346, title П. § 201 (c)— (e), 73 Stat. 624.) AMENDMENTS... | |
| United States - Law - 1953 - 1744 pages
...Revenue Acts of 1926 and 1924 are amended by Inserting before the last sentence thereof the following: 'Where as part of the consideration to the taxpayer...from the taxpayer property subject to a liability, euch assumption or acquisition (in the amount of the liability) shall, for the purposes of this paragraph,... | |
| United States. Internal Revenue Service - Taxation - 1941 - 664 pages
...without the recognition of gain if it were the sole consideration, and as part of the consideration another party to the exchange assumed a liability...subject to a liability, such assumption or acquisition shall not be considered as "other property or money" received by the taxpayer within the meaning of... | |
| United States, Walter Elbert Barton - Gifts - 1944 - 1286 pages
...assigned to such other property an amount equivalent to its fair market value at the date of the exchange. to corporation controlled by transferor. — No gain...corporation, and immediately after the exchange suc for the purposes of tliis paragraph, be considered as money received by the taxpayer upon the exchange.... | |
| United States. Congress. Internal Revenue Taxation Joint Committee - 1945 - 350 pages
...assigned to such other property an amount equivalent to its fair market value at the date of the exchange. Where as part of the consideration to the taxpayer...acquisition (in the amount of the liability) shall, for the purposes of this paragraph, be considered as money received by the taxpayer upon the exchange.... | |
| United States. Congress. Joint Committee on Internal Revenue Taxation - Income tax - 1946 - 428 pages
...assigned to such other property an amount equivalent to its fair market value at the date of the exchange. Where as part of the consideration to the taxpayer...acquisition (in the amount of the liability) shall, for the purposes of this paragraph, be considered as money received by the taxpayer upon the exchange.... | |
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