July 21, 2016

Spin-Off Revenue Procedure Removes a No-Rule Area and Provides Safe Harbors for Unwinding High Vote/Low Vote Stock Structures

订阅

Jump to...

 
On July 15th, the IRS released Rev. Proc. 2016-40 (the “Rev. Proc.”) removing a recent “no-rule” area with respect to transactions undertaken in anticipation of a spin-off involving high vote/low vote stock classes for the spun-off corporation, and providing safe harbors with respect to subsequent adjustments to the stock structures. The Rev. Proc. is a positive development for taxpayers because the safe harbors provide certainty while the removal of the no-rule area gives taxpayers the opportunity to seek further guidance from the IRS through the private letter ruling process.

View full memo, Spin-Off Revenue Procedure Removes a No-Rule Area and Provides Safe Harbors for Unwinding High Vote/Low Vote Stock Structures

Authors and Contributors

Larry Crouch

合伙人

税务

+1 212 848 4431

+1 212 848 4431

+1 650 838 3718

+1 650 838 3718

纽约

Jeffrey Quinn

返聘高级顾问

税务

+1 650 838 3815

+1 650 838 3815

+1 212 848 7335

+1 212 848 7335

门罗帕克

业务