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Section 1041 Does Not Require Interest Paid to an Ex-Spouse to be Treated as Personal Interest: Seymour v. Commissioner

Gregory M. Woods
The Tax Lawyer
Vol. 51, No. 4 (Summer 1998), pp. 829-834
Published by: American Bar Association
Stable URL: http://www.jstor.org/stable/20771994
Page Count: 6
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Section 1041 Does Not Require Interest Paid to an Ex-Spouse to be Treated as Personal Interest: Seymour v. Commissioner
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