Investment Fraud and Income Tax Treatment

Number of Pages 4

In four pages this paper examines the cases of Michele Monteleone, 34 T.C. 688 (1960) and Robert S. Gertsell, 46 T.C. 161 (1966) as they present investment fraud information and then considers a hypothetical fraud case regarding income tax treatment.


File: D0_JGAtc161.rtf


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