Tax-Free Reorganizations with S-Corporations | Practical Law

Tax-Free Reorganizations with S-Corporations | Practical Law

This Note provides an overview of tax-free acquisitive reorganizations involving S-corporations under IRC Section 368. In a tax-free reorganization, an S-corporation can be the target corporation or acquiring corporation, or both. Acquisitive reorganizations are transactions where one corporation acquires the stock or assets of another corporation.

Tax-Free Reorganizations with S-Corporations

Practical Law Practice Note w-011-3395 (Approx. 18 pages)

Tax-Free Reorganizations with S-Corporations

by Practical Law Corporate & Securities
MaintainedUSA (National/Federal)
This Note provides an overview of tax-free acquisitive reorganizations involving S-corporations under IRC Section 368. In a tax-free reorganization, an S-corporation can be the target corporation or acquiring corporation, or both. Acquisitive reorganizations are transactions where one corporation acquires the stock or assets of another corporation.