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56 Taxes 1 (1978)

handle is hein.journals/taxtm56 and id is 1 raw text is: .7A TAX MAGAZINE

This magazine   is pub-
lished to promote sound
thought in economic, legal
and accounting principles
relating to all federal and
state taxation. To this
end  it contains  signed
articles on tax subjects of
current interest and re-
ports by the CCH Editorial
Staff on recent federal and
state tax matters.
The editorial policy Is to
allow frank discussion of
tax issues. On this basis
contributions are invited.
Responsibility is not as-
sumed for the contents of
the articles or for the
opinions expressed therein.
Editor
Gene 0. Sjostrand
WashingtOn Editor
James R. McNelis
Business Manager
James L. Jones
Circulation Manager
Donald B. Izban
TAXES-The Tax Maga-
zine is published monthly
by   Commerce   Clearing
House, Inc.,   4025  W.
Peterson  Ave., Chicago,
Illinois  60646.  Second-
class postage paid at Chi-
cago. Illinois. Subscrip-
tion rate: $35, 1 year; $4,
single copy, April, 1978,
Vol. 56, No. 4. Change of
address should be received
at least 30 days before the
date of the issue with
which it Is to take effect.
C) 1978, Commerce Clearing
House, Inc. All rights re-
served. Printed In U. S. A.

January 1978 * VOL. 56 No. 1
T a x   N o t e s   . . . . . . . . . . . . . . . . . . . .. . . . . . . . . . . . . . . . . . . . . . . . . .  2
Are All Silver Transactions Created Equal? An Analysis of Revenue
R u ling   7 7-18 5  . . . . . . . . . . . . . . . .. . . . . . . . . . . . . . . . . . . . . . . . . . 3
Lee R. Barbakoff and Robert L. Sabin say the IRS has not established any
precedent to support its position in Revenue Ruling 77-185.
Compensating the General Partner: The Pratt Case .......... 10
The Pratt victory may cost the Treasury almost as much as it saves, and Martin
B. Cowan doubts that anything significant has been achieved.
In  W ashington  ................... .. ...    .  . ........ ..  2 1
The Itemized Deductions of Homeowners-An Analysis of the Need for
Tax Reform  . ..   ..   ...       ............... 22
It appears to Jonathan J. Davies and Sam A. Hicks that the inequity and
revenue loss caused by itemized deductions, in particular, personal residence
expenditure deductions, are not severe enough to justify an immediate pro-
gram of stringent tax reform.
Practitioner's Note: Sec. 355 Separation of Businesses ............... 27
David M. Diness provides a brief commentary on Section 355 corporate
spinoffs to shareholders.
Fifth Circuit Reaffirms Distaste for IRS Misrepresentation: .......... 28
Steven M. Harris and Richard E. Warner consider it important that the IRS
confine the role of the Revenue Agent to civil functions. Use of the Revenue
Agent in a particular criminal investigation may result in suppression of the
evidence in the case.
S tate  T axes  . . . . . . . . . ... . . . .  . . . . . . . . . . . . . . . . . . . . . . . . . . . . .  3 6
Lump-Sum Distributions May Not Always Be Eligible for Ten-Year Forward
Averaging: An Analysis of Recent Decisions ....................  37
The total distribution payable normally includes those amounts subject to
substantial restrictions or conditions. James H. Boyd and Mary Jane Boyd
reveal an exception to this rule.
ESOP May Facilitate Tax-Free Transfer of Interest in Closely Held Cor-
p o ratio n s  . . . . . . .. . . . . . .  . . . . . . . . . . . . . . . . . . . . . . . . . .  4 3
The value of an ESOP in connection with special problems of closely held
corporations is analyzed by David F. Rock and Raymond D. Brooks.
Percentage Depletion Deductions for Oil and Gas Operations: A Review
and  A nalysis  . . . .  . . . .. . . . . .. .. . . ... . . . . . . . . . . . . .. . . . .  4 8
The importance of the role that percentage depletion will play in the future is
a matter of considerable doubt and uncertainty, point out Ted D. Englebrecht
and Richard W. Hutchins.
T ax  M eeting s  . .. .. .. .. .. .. .. ...... ... . .. .. .... . .. .........  6 4

EH N_ 1

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