ISSN 0024-7081
Vol. 15, Issue 3, 1984January 01, 1984 CDT
ccby-4.0
Tax Shelter Litigation and Securities Law: Should Tax Benefits Be Used to Reduce Plaintiff Awards?
Tax Shelter Litigation and Securities Law: Should Tax Benefits Be Used to Reduce Plaintiff Awards?
Carole Schecter,
Articles in Vol. 15, Issue 3, 1984
Vol. 15, Issue 3, 1984
- Table of ContentsJournal Loyola University Chicago Law
- ForewardMel R. Jiganti Honorable
- Punitive Damages in Mass Tort Cases: Recovery on Behalf of a ClassKevin M. Forde
- Bystander Recovery in Illinois for the Negligent Infliction of Emotional Distress:<i>Rickey v. Chicago Transit Authority</i>Hilda C. Contreras
- Statutory Damages Under the Copyright Act of 1976Priscilla Ferch
- Insurer's Wrongful Refusal to Settle: A Note on ExcessSeth M. Hemming
- Prejudgment Interest: Implementing Its Compensatory PurposeMichael J. Martin
- Tax Shelter Litigation and Securities Law: Should Tax Benefits Be Used to Reduce Plaintiff Awards?Carole Schecter
- Pecuniary Injuries Under the Illinois Wrongful Death Act: Is the Loss of a Child's Society Included?Anne E. Seman
- Punitive Damages in Survival Actions:<i>Froud v. Celotex Corp.</i>Jeanette M. Watson
Carole Schecter, Tax Shelter Litigation and Securities Law: Should Tax Benefits Be Used to Reduce Plaintiff Awards?, 15 Loy. U. Chi. L.J. 569 (1984).