FEDERAL INCOME TAX ISSUES RELATED TO

See, e.g., F.S.A. 200145009 (July 31, 2001) (concluding that because a G reorganization closed the taxable year on the date of the transfer, and section 108(b) reduced tax attributes as of the beginning of the next taxable year, the target held no assets the basis of which could be reduced under sections 108 and 1017); P.L.R. 9409037 (Dec. 7 ... ................
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