OPINION
FAY, Judge:
Respondent determined a deficiency of $3,211,019 in petitioner's 1978 Federal income tax. The only issue is whether petitioner properly computed the basis in its subsidiaries' stock in reporting gain from the sale of the stock.
The facts have been fully stipulated and are so found.
Petitioner Woods Investment Co., a Delaware corporation, had its principal office in Oklahoma City, Oklahoma, at the time it filed the...
Let's get started

Welcome to the leading source of independent legal reporting
Sign on now to see your case.
Or view more than 10 million decisions and orders.
- Updated daily.
- Uncompromising quality.
- Complete, Accurate, Current.