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Section 336(e) U.S. Treasury

Troutman Pepper

New Regulations Provide Advantageous Acquisition Structures

Troutman Pepper on

New regulations issued by Treasury under Section 336(e) permit certain stock acquisitions to be treated as asset purchases, allowing buyers access to stepped-up asset basis and corresponding depreciation and amortization...more

Miller & Martin PLLC

New Section 336(e) Election Provides Additional Flexibility in Taxation of Stock Transactions

Miller & Martin PLLC on

On May 15, 2013, the Department of the Treasury issued final regulations regarding a new election now permitted under Section 336(e) of the Internal Revenue Code that allows sellers to elect to treat transactions structured...more

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