| United States. Congress. Senate. Committee on Finance - 1939 - 780 lapas
...acquire stock such stock shall be considered as owned by such person. For the purposes of this paragraph an option to acquire such an option, and each one...be considered as an option to acquire such stock. (4) APPLICATION OF FAMILY-PARTNERSHIP AND OPTION RULES. Paragraphs (2) and (3) shall be applied... | |
| United States, United States. Congress. House. Committee on Ways and Means - 1938 - 348 lapas
...acquire stock such stock shall be considered as owned by such person. For the purposes of this paragraph an option to acquire such an option, and each one...be considered as an option to acquire such stock. (4) APLICATION OF FAMILY-PARTNERSHIP AND OPTION RULES. Paragraphs (2) and (3) shall be applied... | |
| 1939 - 1030 lapas
...acquire stock such stock shall be considered as owned by such person. For the purposes of this paragraph an option to acquire such an option, and each one...be considered as an option to acquire such stock. "(4) Application of family-partnership and option rules. Paragraphs (2) and (3) shall be applied ... | |
| 1940 - 1806 lapas
...acquire stock such stock shall be considered as owned by such person. For the purposes of this paragraph an option to acquire such an option, and each one...be considered as an option to acquire such stock. (4) Application of family-partnership and option rules. Paragraphs (2) and (3) shall be applied... | |
| United States - 1965 - 1110 lapas
...acquire stock, such stock shall be considered as owned by such person. For purposes of this paragraph, an option to acquire such an option, and each one...be considered as an option to acquire such stock. (4) Application of family-partnership and option rules. §554 Page 5169 1556 (A) for purposes of the... | |
| United States. Internal Revenue Service - 1939 - 636 lapas
...acquire stock such stock shall be considered as owned by such person. For the purposes of this paragraph an option to acquire such an option, and each one...be considered as an option to acquire such stock. "(4) APPLICATION OF FAMILY-PARTNERSHIP AND OPTION RULES. Paragraphs (2) and (3) shall be applied... | |
| United States, Walter Elbert Barton - 1944 - 1286 lapas
...acquire stock such stock shall be considered as owned by such person. For the purposes of this paragraph an option to acquire such an option, and each one...be considered as an option to acquire such stock. Sec. 333. (a) (4) Application of family-partnership and option rules. Paragraphs (2) and (3) shall... | |
| United States. Congress. Joint Committee on Internal Revenue Taxation - 1944 - 336 lapas
...acquire stock such stock shall be considered as owned by such person. For the purposes of this paragraph an option to acquire such an option, and each one...be considered as an option to acquire such stock. (4) APPLICATION OF FAMILY-PARTNERSHIP AND OPTION RULES. Paragraphs (2) and (3) shall be applied... | |
| Philippines - 1945 - 1064 lapas
...stock such stock shall be considered as owned by such person. For the purposes of this subsection, an option to acquire such an option, and each one...be considered as an option to acquire such stock. SEC. 67. Definition of foreign personal holding company. (a) General rule. For the purposes... | |
| United States. Congress. Internal Revenue Taxation Joint Committee - 1945 - 350 lapas
...acquire stock such stock shall be considered as owned by such person. For the purposes of this paragraph an option to acquire such an option, and each one...be considered as an option to acquire such stock. (4) APPLICATION OF FAMILY-PARTNERSHIP AND OPTION RULES. Paragraphs (2) and (3) shall be applied... | |
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