Wachtell Lipton’s Joshua Blank argues here that the “continuity of interest doctrine” for corporate tax reorganizations is an unworkable doctrine with goals that are mere fictions at best.
© Steve Jakubowski 2005
The Internet’s First Bankruptcy Blog, Now 2.0
Wachtell Lipton’s Joshua Blank argues here that the “continuity of interest doctrine” for corporate tax reorganizations is an unworkable doctrine with goals that are mere fictions at best.
© Steve Jakubowski 2005