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| TITLE | [Revocation of Disposition Rejecting a Claim for Revision of Corporate Tax Base and Tax Amount]Supreme Court Decision 2004Du3755 Delivered on June 10, 2005 [full Text] |
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| Summary | |
| Whether gains on disposal of treasury stock are included in the gains from acquisition and should therefore be excluded from the calculation of income, in the case where the surviving corporation succeeds to the stocks issued by the surviving corporation and owned by the merged corporation and disposes of them (affirmative) | |


