The carryover period for the NOLs of a C corporation does not continue to run during S corporation years.
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Q22: An S corporation shareholder's stock basis includes
Q30: Post-termination distributions that are charged against OAA
Q32: Form 1120S provides an S shareholder's computation
Q32: An S corporation does not recognize a
Q33: An S shareholder's basis is increased by
Q44: An S corporation that has total assets
Q47: Any distribution made by an S corporation
Q49: An S shareholder's stock basis does not
Q53: The LIFO recapture tax is a variation
Q53: Any excess of S corporation losses or
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