The Tax Court held that in determining whether the six-year statute of limitation on assessment due to a 25% omission from gross income applied, only the gains, rather than the full amount realized, on the sale of the taxpayers' investment assets are taken into account.
Source: http://feedproxy.google.com/~r/AICPA_TaxAdvisor/~3/XK-9KQKX0b8/Tax_Trends_02.aspx
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