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A 1256 Contract, as defined in section 1256 of the U.S. Internal Revenue Code, is any regulated futures contracts, foreign currency contracts, non-equity options (broad-based stock index options (including cash-settled ones), debt options, commodity futures options, and currency options), dealer equity options, and any dealer security futures contracts.
A dealer equity option is any equity option listed on a qualified board of exchange, that is bought or granted by an options dealer (any person registered with an appropriate national securities exchange as a market maker or specialist in listed options).
A 988 transaction is a transaction described in section 988(c)(1) of the Internal Revenue Code [1] in the United States of America.This transaction occurs when a taxpayer enters into or acquires any debt instrument, forward contract, futures contract, option, or similar financial instrument held in a non-functional currency. [1]
Created Date: 8/30/2012 4:52:52 PM
Title: Exhibit 46 Author: gshapiro Created Date: 9/16/2015 1:22:17 PM
22 MR. MURPHY: Objection to form. You 23 may answer. 24 THE WITNESS: I don't recall Page 10 1 explicitly, but not during that entire period of 2 time. I think at some point it was, but not 3 during that entire period. 4 (Exhibit Gorsky-01 was marked for
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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 1 reporter's record daily copy volume 2 cause no. d-1-gv-04-001288 state of texas, ) in the district ...