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Friday | Nov. 21, 2008   
 
September 2007


Extreme Makeover: Re-thinking Reorganizations  


IRS Expands Restrictions on "Killer B" Transactions


What Attracts an Assessor's Attention-and How You Can Protect Your Bottom Line


Code Sec. 355 and Partnerships


Issues Congress May Tackle by Year's End


Extreme Makeover: Re-thinking Reorganizations  

Internal Revenue Code provisions governing the tax or tax-free treatment of corporate acquisitve reorganizations have morphed and mutated ad hoc over the past 80 years. The basic "A," "B," and "C" acquisitive reorganizations reflect early types of acquisitive transactions used in the business world. 

In his article in Taxes-The Tax Magazine, Richard M. Weber, Jr., provides an overview of the current rules governing acquisitive reorganizations and compares the complexity of the current acquisitive reorganization regime with the complexities of the former entity classification rules.

Read this article from Taxes - The Tax Magazine
Related publications of interest include:
US Master Finance Guide (Second Edition)
Top Federal Tax Issues for 2008 CPE Course
Depreciation Course - 2007 Edition (CCH Learning Center Web-Based CPE Course)
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IRS Expands Restrictions on "Killer B" Transactions
Generally speaking, in a triangular reorganization, the acquiring corporation uses stock of its parent company as the consideration issued in exchange for the target's assets or stock. Notice 2007-48, expanding on Notice 2006-85, shuts down the variation of the Killer B transaction in which a controlled foreign corporation (CFC) acquires stock in its parent from the parent's shareholders for use in a triangular reorganization. 

Like the classic Killer B transaction in which the CFC paid the parent for its stock, Kevin Rowe and Jack Cummings in their column in Corporate Business Taxation Monthly point out, this transaction is also apparently seen as a way for the CFC to repatriate foreign earnings without drawing U.S. corporate-level income tax.

Read this article from Corporate Business Taxation Monthly
Related publications of interest include:
Foreign Tax Credits
International Income Taxation: Code and Regulations--Selected Sections (2007-2008 Edition)
International Taxation: U.S. Taxation of Foreign Persons and Foreign Income (Fourth Edition)
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What Attracts an Assessor's Attention-and How You Can Protect Your Bottom Line
From having a sales tax presence to having your company's name emblazoned on a barrel, you could be piquing an assessor's interest-and that could mean an unexpected property tax assessment. If a firm has sales and use tax situs and doesn't file a property tax return, this could raise a red flag-for the local assessor. Just exactly where is your property-pallets, dumpsters, construction equipment-and what is the local rate there? 

An article in Property Tax Alert explains what to do as local jurisdictions' increasing needs for funds, coupled with enhanced technology, is leading to more cross-referencing of records and subsequent assessments.

Read this article from Property Tax Alert
Related publications of interest include:
Practical Guide to Real Estate Taxation (Fifth Edition) 
US Master Property Tax Guide (2006)
Practical Guide to Like-Kind Exchanges under Code Section 1031 (Second Edition)
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Code Sec. 355 and Partnerships

Code Sec. 355 is exclusively a Subchapter C rule, so using Code Sec 355 and partnerships in the same breath may seem a bit odd. It is axiomatic that the active conduct of a trade or business does not include holding property for investment. But what of corporations that hold partnership or LLC interests? 

An article by Robert Wood in M&A Tax Report details IRS guidance on the subject. 

Read this article from M&A Tax Report
Read this article from M&A Tax Report
Subscribe to M&A Tax Report
Related publications of interest include:
Federal and State Taxation of Limited Liability Companies (2008)
Guide to Limited Liability Companies (Ninth Edition)
Multistate Tax Guide to Pass-Through Entities (2007)
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Issues Congress May Tackle by Year's End
The legislative agenda fin the tax realm for federal lawmakers for the remainder of the year could include discussing a permanent solution to the alternative minimum tax (AMT). Also, tax cuts for married couples designed to alleviate the "marriage tax penalty" and repeal of the estate tax could be extended. 

Yet, according to an article in Executive's Tax & Management Report, Congress may attempt to offset the resulting revenue loss by increased compliance enforcement, more attacks on tax shelters, and rethinking tax deferrals for U.S. firms investing overseas. 

Read this article from Executive's Tax & Management Report
Read this article from Executive's Tax & Management Report
Subscribe to Executive's Tax & Management Report
Related publications of interest include:
Blue Book 2007: Joint Committee on Taxation's General Explanation of Tax Legislation Enacted in the 109th Congress
Enron and Beyond: Technical Analysis of Accounting Corporate Governance and Securities Issues
Federal Tax Audio Advisor Quizzers
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Taxes - The Tax Magazine®
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