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EFTA00597073

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Checkpoint Contents Federal Library Federal Source Materials IRS Rulings & Releases Revenue Rulings & Procedures, Notices, Announcements, Executive & Delegation Orders, News Releases & Other IRS Documents Revenue Rulings (1954 to Present) 1959 Rev. Rul. 59-172 through Rev. Rul. 59-123 Rev. Rul. 59-171, 1959-1 CB 65 -- IRC Sec(s). 267 Revenue Rulings Rev. Rul. 59-171, 1959-1 CB 65, IRC Sec(s). 267 Headnote: Rev. Rul. 59-171, 1959-1 CB 65 -- IRC Sec. 267 Reference(s): Code Sec. 267; Reg § 1.267(b)-1 Where two persons are trustees of separate trusts of a common grantor, deductions for losses sustained on the purchase and sale of securities between the trustees in their capacity as individuals rather than in their capacity as fiduciaries, are not prohibited by 1.1 section 267 of the Internal Revenue Code of 1954. Full Text: Advice has been requested whether n section 267(b)(5) of the Internal Revenue Code of 1954 prohibits a deduction of a loss sustained as a result of a sale of personally owned securities between individuals who are fiduciaries of trusts established by the same grantor. B and C are trustees of separate trusts created by the same grantor. Solely for his own account. B sold at a loss certain securities owned by him personally to C. C made the purchase for his own account, and not as a fiduciary. n . Section 267 of the Code provides, in part, that in computing taxable income no deduction shall be EFTA00597073

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