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Tax Considerations in M&A

M&A Science

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Limitations on Acquiring Losses in M&A

This chapter explores the limitations and restrictions on acquiring losses in a merger or acquisition, including the IRS code provision known as the 382 limitation and its impact on using the losses of shell companies or companies with significant net operating losses. It also discusses how the change of ownership in a corporation can severely limit the ability to utilize net operating loss carry forwards in a C corporation.

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