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I.R.C. § 61 and Low-Interest Loans: Dean, Greenspun, and the Convolution Continues

Abstract

The question whether low-interest loans may represent taxable income for the borrower has been at the center of numerous recent tax cases. While Dean continues to be upheld, these cases have raised as many issues as they have satisfactorily resolved.

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23 Ariz. L. Rev. 1147 (1981)

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