North South Spinoff Found to Be Tax Free by IRS
In Rev. Rul. 2017-9 the IRS ruled on two different transactions involving three related corporations, one of which gives the IRS position on “North-South” spinoff transactions that the IRS had placed on its no rule list in 2013.
The first situation, and the one which proves to be the most taxpayer friendly, involved three related corporations involved in a North-South spinoff. P, the parent corporation, owns 100% of D, what will eventually be the distributing corporation in this arrangement. D owns 100% of C, a corporation whose stock the taxpayer wishes to transfer upstream to P.
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