1905004 Informal Interpretation
… out below. We are hoping that you can confirm our analysis of the situation. Corporation A is a U.S. corporation whose stock is owned 100% by Corporation B, a European company. Corporation B is controlled by Person X, a European citizen. As part of Person X’s estate planning, Corporation B intends to …
Date
Rule
802.71
These facts are not inconsistent with treating the acquisition as exempt under Rule 802.71.
File
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