Peracchi Douglas Property Grp Headquarters
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https://www.bbb.org/us/ca/fresno/profile/real-estate-development/peracchi-douglas-property-grp-1066-89027613
Peracchi Douglas Property Grp. 7485 N Palm Ave STE 110. Fresno, CA 93711-5764 (559) 289-7912 ...
https://www.manta.com/c/mk1mp6m/douglas-peracchi-property-group
Douglas Peracchi Property Group. UNCLAIMED . This business is unclaimed. Owners who claim their business can update listing details, add photos, respond to reviews, and more. Claim this listing for free. UNCLAIMED . 7485 North Palm Avenue # 110 Fresno, CA 93711 ...
https://www.linkedin.com/in/caraperacchidouglas
View Cara Peracchi Douglas, MA, MCJ’S profile on LinkedIn, the world’s largest professional community. Cara has 11 jobs listed on their profile. See the complete profile on LinkedIn and ...Works For: Best Version Media
https://brooklynworks.brooklaw.edu/cgi/viewcontent.cgi?article=1621&context=faculty
The Liability-Offset Theory of Peracchi Bradley T. Borden [email protected] Douglas Longhofer Follow this and additional works at:https://brooklynworks.brooklaw.edu/faculty Part of theOther Law Commons,Property Law and Real Estate Commons, and theTax Law Commons This Article is brought to you for free and open access by BrooklynWorks.Author: Bradley T. Borden, Douglas L. Longhofer
https://digitalcommons.law.lsu.edu/cgi/viewcontent.cgi?article=5779&context=lalrev
The Ninth Circuit also held that Peracchi incurred a cost in issuing his note because the note was enforceable by NAC's creditors. The amount of the cost to Peracchi, in the Ninth Circuit's opinion, was equal to the face amount of the note. Thus, under section 358, the basis of Peracchi's NAC stock included the face amount of his promissory ...Author: Susan Kalinka
Property Management and professional HOA Services. Call us today for a free quote. Charlotte NC / Raleigh / Greenville / Myrtle Beach / Greensboro. X. Owners & Board Members download the “William Douglas Mgmt HOA App” today to view your account, make payments, submit ARC and & work order requests, view governing documents etc.
https://www.americanbar.org/groups/taxation/publications/tax_lawyer_home/11win/ttl-win11-bordenlonghofer/
Aug 14, 2011 · As a result of Peracchi, the existing theories and criticisms often focus on whether the note constitutes property for purposes of a section 351 exchange, and whether the note has a basis in the shareholder’s or the corporation’s hands. One such theory, which this Article refers to as the separate-transaction theory, argues that the law ...
https://caselaw.findlaw.com/us-9th-circuit/1285973.html
Apr 29, 1998 · Peracchi tried to dig himself out of this tax hole by contributing a personal note with a face amount of $1,060,000 along with the real property. Peracchi maintains that the note has a basis in his hands equal to its face value. If he's right, we must add the basis of the note to the basis of the real property.
https://www.casemine.com/judgement/us/5914bbbfadd7b0493479874f
Peracchi remained personally liable on the debts encumbering the property transferred to NAC. NAC took the property subject to the debts, however, which is enough to trigger gain under the plain language of section 357 (c). See Owen v. Commissioner, 881 F.2d 832, 835-36 (9th Cir. 1989).
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