Terry D. Smith - Page 11

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             Similarly, we need not decide respondent's contentions that              
          petitioner's sale of the Monroe Road and Seventh Street                     
          properties is ineligible for like-kind exchange treatment under             
          section 1031(a) because petitioner constructively received the              
          proceeds from the sale of each of those properties and that the             
          sales and purchase were not an exchange as required by section              
          1031(a).                                                                    

                                             Decision will be entered for             
                                        respondent.                                   






























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