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Section 336(e) Income Taxes

K&L Gates LLP

The 336(e) Election: Possible Deemed Asset Sale Treatment When a 338(h)(10) Election is Unavailable

K&L Gates LLP on

For U.S. federal income tax purposes, a purchaser in a corporate acquisition typically prefers to acquire assets of a target corporation (“Target”) rather than stock because a purchaser that acquires assets is able to “step...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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