Vol. 29, Issue 1, 1976December 01, 1976 EDT
Income Tax Planning for the Corporate Executive: A Case Against Deferral
Income Tax Planning for the Corporate Executive: A Case Against Deferral
Ronald J. Russo,
Articles in Vol. 29, Issue 1, 1976
Vol. 29, Issue 1, 1976
- The Limited Partnership Tax Shelter: An Investment Vehicle Under AttackJeffrey D. SperlingLawrence Lokken
- Limiting Religious Tax Exemptions: When Should the Church Render Unto Ceaser?Stephen Schwarz
- The Applicability of Section 361 to Statutory Mergers: An AnalysisGary C. Randall
- The Travelling Taxpayer: A Rational Framework for His DeductionsJohn D. MiltonKempton P. LoganRalph E. Tallant
- An Individual Income Tax for Florida: The Next Step in Tax Reform?David M. Hudson
- Section 1031: Like Kind Exchanges of Partnership InterestsLarry Gragg
- Income Tax Planning for the Corporate Executive: A Case Against DeferralRonald J. Russo
- The Effect of Recapture Property on the Sale of a Partnership InterestJack A. Levine
Ronald J. Russo, Income Tax Planning for the Corporate Executive: A Case Against Deferral, 29 Fla. L. Rev. 182 (1976).
