Wednesday, April 2, 2014

Structuring Minority Interest Acquisitions With a Step-Up in Basis: Sec. 1239 and Beyond

A recent court decision is a reminder of the related-party�traps and the importance of properly structuring a minority investment.

Source: http://feedproxy.google.com/~r/AICPA_TaxAdvisor/~3/AgqJcgq9hhI/clinic-story-01.aspx

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