Insights & News

PICPA: Getting an “F” When Buying an S Corp. Makes the Grade

When approaching an S corporation for acquisition, there are unique tax issues to deal with regarding the target’s status. Fortunately, buyers are armed with a tax-free reorganization pursuant to Section 368(a) (1)(F) of the Internal Revenue Code (IRC), also known as the F Reorg.

In their latest article for the Pennsylvania CPA Journal,  Michael Tighe,  Meredith Thornton and Howard Braithwaite discuss how, when an F reorg is combined with a limited liability company (LLC) conversion, the issue of S corporation status becomes a nonfactor, allowing buyers and sellers to focus on other aspects of the acquisition.

Read the article here.

GTM Tax
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