Vol. 37, Issue 3, 1985June 01, 1985 EDT
United States Tax Implications of International Interest Rate Swaps (U.S. Dollar Denominated Agreements)
United States Tax Implications of International Interest Rate Swaps (U.S. Dollar Denominated Agreements)
Robert C. Reid,
Articles in Vol. 37, Issue 3, 1985
Vol. 37, Issue 3, 1985
- The Deduction of Future Liabilites by Accrual-Basis Taxpayers: Premature Accruals, the All Events Test, and Economic PerformanceErik M. Jensen
- Integration of Subchapter C with Subchapter S After the Subchapter S Revision ActJerald David August
- Constitutional Issues in Revoking Religious Tax Exemptions: Church of Scientology of California v. CommissionerJerold A. Friedland
- The Taxation of Athletic Scholarships: An Uneasy Tension between Benevolence and ConsistencyRobert W. Lee
- Social Security Tax Treatment of Cafeteria PlansRichard F. Yates
- "Living on the Cheap," is Barter Better? Revenue Rulings and a Selective Analysis of the Effect of TRA '84 on Barter TransactionsRobin Kaufman
- United States Tax Implications of International Interest Rate Swaps (U.S. Dollar Denominated Agreements)Robert C. Reid
Robert C. Reid, United States Tax Implications of International Interest Rate Swaps (U.S. Dollar Denominated Agreements), 37 Fla. L. Rev. 671 (1985).
