Corporate acquisitions--(A), (B), and (C) reorganizations / H. Kirt Switzer, Partner, Latham & Watkins LLP, San Francisco/Menlo Park, CA and Gary B. Wilcox, Principal, PricewaterhouseCoopers LLP, Washington, D.C. ; significant contributions to this version were made by Arthur W. Sewall, Director, PricewaterhouseCoopers LLP, Washington, D.C. and Colin M. Zelmer, Director, PricewaterhouseCoopers LLP, Los Angeles, CA.
2009
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Author
Title
Corporate acquisitions--(A), (B), and (C) reorganizations / H. Kirt Switzer, Partner, Latham & Watkins LLP, San Francisco/Menlo Park, CA and Gary B. Wilcox, Principal, PricewaterhouseCoopers LLP, Washington, D.C. ; significant contributions to this version were made by Arthur W. Sewall, Director, PricewaterhouseCoopers LLP, Washington, D.C. and Colin M. Zelmer, Director, PricewaterhouseCoopers LLP, Los Angeles, CA.
Added Corporate Author
Imprint
Arlington, VA : Tax Management, [2009]-
Description
1 online resource.
Frequency
Updated irregularly.
Series
Tax management portfolios ; 771-4th.
Formatted Contents Note
Detailed analysis. I. Overview
II. Choosing a transaction structure
III. Acquisitive asset reorganizations
IV. Acquisitive stock reorganizations
V. Requirements and doctrines common to all acquisitive reorganizations
VI. Treatment of parties to a reorganization
VII. Reorganizations involving S corporations and noncorporate entities
VIII. Reorganizations involving foreign corporations
IX. Obtaining rulings from the IRS
X. Reporting requirements
XI. Tax treatment of reorganization expenses
Working papers.
II. Choosing a transaction structure
III. Acquisitive asset reorganizations
IV. Acquisitive stock reorganizations
V. Requirements and doctrines common to all acquisitive reorganizations
VI. Treatment of parties to a reorganization
VII. Reorganizations involving S corporations and noncorporate entities
VIII. Reorganizations involving foreign corporations
IX. Obtaining rulings from the IRS
X. Reporting requirements
XI. Tax treatment of reorganization expenses
Working papers.
Summary
" ... discusses the requirements necessary to qualify a transaction as an "A" Reorganization, "B" Reorganization, "C" Reorganization, Forward Triangular Merger, or Reverse Triangular Merger. In addition to discussing the basic requirements, this Portfolio examines the consequences to the various parties involved in a reorganization, with an emphasis on practical problems and planning techniques."
Bibliography, etc. Note
Includes bibliographical references.
Available Note
Also issued in print.
System Details Note
Mode of access: World Wide Web.
Source of Description
Description based on contents viewed on December 13, 2016; title from description page.
Location
WWW
Available in Other Form
Print version: Switzer, H. Kirt. Corporate acquisitions--(A), (B), and (C) reorganizations. Arlington, VA : Tax Management, [2016]-
Linked Resources
Alternate Title
Tax Management Portfolios.
Language
English
Record Appears in