高顿网校USCPA责任小编今天为各位学员提供以下相关热点资讯,仅供参考!
  On Monday, the IRS finalized temporary regulations regarding the determination of the basis of stock or securities in all-cash D reorganizations where no stock or securities of the issuing corporation is issued and distributed in the transaction (T.D. 9702). The regulations clarify that in these transactions, only a shareholder that owns actual shares of the issuing corporation will be able to designate the issuing corporation’s share of stock to which the basis (if any) of the stock or securities surrendered will attach.
  Under Sec. 368(a)(1)(D), a D reorganization generally occurs when one corporation transfers all or a part of its assets to another corporation if, immediately after the transfer, the target corporation or one or more of its shareholders, or any combination of those, is in control of the acquiring corporation.
  The IRS issued the temporary regulations in 2011 after it became aware of what it considered to be an invalid interpretation of earlier regulations on all-cash D reorganizations involving transactions where the consideration received in a reorganization consists solely of cash and a nominal share. Some practitioners had claimed that those rules permitted basis to be allocated to parties that did not own actual shares of stock in the issuing corporation. In the preamble to T.D. 9702, the IRS said it received no comments on the 2011 regulations and that the regulations were being adopted without substantive changes. However, the final regulations contain a number of clarifying changes.
  The final regulations apply to transactions occurring on or after Nov. 12, 2014.
  小编寄语:意外和明天不知道哪个先来。没有危机是*5的危机,满足现状是*5的陷阱。
  来源:AICPA China

 USCPA官方微信
扫一扫微信,*9时间获取USCPA考试时间提醒,体验全新备考方式
 
高顿网校特别提醒:已经报名2014年USCPA 考试的考生可按照复习计划有效进行!另外,高顿网校2013年USCPA考试辅导高清课程已经开通,通过针对性地讲解、训练、答疑、模考,对学习过程进行全程跟踪、分析、指导,可以帮助考生全面提升备考效果。
 
  报考指南:2014年USCPA报考指南 
  考前冲刺:USCPA 考试试题   考试辅导
  高清网课:USCPA网络课程