Wang, Davis J.

The new IRS ruling policy on spin-off transactions / Davis J. Wang.; Jameson S. Lloyd.; M. John Jo.; Stephen J. Profeta.

On May 1, 2024, the IRS issued Revenue Procedure 2024-24, which establishes revised standards for taxpayers seeking private letter rulings on tax-free spin-offs, focusing in particular on, among other things, issues relating to stock-for-debt exchanges and debt securities-for-debt exchanges occurring in connection with tax-free spin-offs. Such debt exchanges have been a popular feature in many spin-off transactions as a tax-efficient way for companies to de-lever by effectively reallocating parent company debt to the company being spun-off. Administrative guidance on such exchanges has evolved over the years, and the new Revenue Procedure signals a significant departure from recent ruling practices.


DEUDA TRIBUTARIA
EMPRESAS
ESCISIÓN


Lloyd, Jameson S.
Jo, M. John
Profeta, Stephen J.

Journal of Taxation of Investments 0747-9115 n. 41-4, Summer 2024 , p. 39-45

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