koaxis, inc. designs and manufactures rf coaxial connectors and cable assemblies specializing in 50 and 75 ohm versions for the telecommunication and cable television industries.
Keywords to Search:
coaxial connectors, coaxial cable assemblies, rf connectors, rf cable assemblies, coax, sma connectors, smb connectors, smz connectors, mcx connectors, bnc connectors, type n connectors, f connectors, g connectors, 50 ohm, 75 ohm
Company Address:
322 S Pennsylvania Ave,NORTH WALES,PA,USA
ZIP Code: Postal Code:
19454-3436
Telephone Number:
2156169880 (+1-215-616-9880)
Fax Number:
2156169880 (+1-215-616-9880)
Website:
www. koaxis. com
Email:
USA SIC Code(Standard Industrial Classification Code):
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26 CFR § 1. 1563-1 - Definition of controlled group of . . . (ii) Y is the common parent of a parent-subsidiary controlled group of corporations consisting of Y and Z, and also is a member of a brother-sister controlled group of corporations consisting of X and Y
Controlled Group Examples: Parent-Subsidiary Brother-Sister The Brother-Sister controlled group involves two or more organizations where the same five or fewer persons, which can include individuals, estates, or trusts, meet two concurrent ownership tests
Microsoft Word - chapter 7-controlled group. doc A brother-sister controlled group is a group of two or more corporations, in which five or fewer common owners (a common owner must be an individual, a trust, or an estate) own directly or indirectly a controlling interest of each group and have “effective control”
Brother-Sister Relationships: Understanding the Tax Code A brother-sister controlled group consists of two or more corporations that share a common ownership structure among a small number of shareholders, typically individuals or family members
Is Your Company Part of a Controlled Group? You Need to Know . . . Below is an example of a brother-sister controlled group In this case, three individuals—Brad, Steve, and Eric—are common owners of both Businesses A and B John and Rick are disregarded because they do not have ownership in both businesses
Apportioning tax benefits among members of a controlled group In general, tax benefits must be shared among the component members of a controlled group (as defined below, under “Meeting the Component Member Tests”) However, component members of a controlled group can apportion some tax benefits in any manner desired
Understanding Controlled Group Rules - Alliant NOTE: A third type of “combined group” consists of three or more organizations where each organization is a member of either a parent-subsidiary or brother-sister group and at least one corporation is the common parent of a parent-subsidiary and is also a member of a brother-sister group