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Corporate Reorganizations; Distributions Under Sections 368(a)(1)(D) and 354(b)(1)(B)

tax-irs · IRS · Rule · Published 2009-12-18 · Effective 2009-12-18 · 74 FR 67053

Document

Document number
E9-30170
Federal Register citation
74 FR 67053
CFR reference
26 CFR 1
Type
Rule
Action
Final regulations and removal of temporary regulations.
Category
tax-irs
Sub-agency
IRS
Publication date
2009-12-18
Effective date
2009-12-18
Treasury docket
TD 9475

Abstract

This document contains final regulations under section 368 of the Internal Revenue Code (Code). The regulations provide guidance regarding the qualification of certain transactions as reorganizations described in section 368(a)(1)(D) where no stock and/or securities of the acquiring corporation is issued and distributed in the transaction. This document also contains final regulations under section 358 that provide guidance regarding the determination of the basis of stock or securities in a reorganization described in section 368(a)(1)(D) where no stock and/or securities of the acquiring corporation is issued and distributed in the transaction. This document also contains final regulations under section 1502 that govern reorganizations described in section 368(a)(1)(D) involving members of a consolidated group. These regulations affect corporations engaging in such transactions and their shareholders.

Source

Authoritative
Federal Register document
Machine
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