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How are reorganizations non-taxable? Target shareholders: • No gain or loss on the exchange of their stock for stock in the acquiring. Two requirements must be met to qualify for tax-free treatment under Section 351 (a): (1) you get ONLY STOCK in exchange for your property; NOT stock PLUS 4 May 2017 The acquirer can use cash only if it uses its voting stock to buy at least 80% of the fair market value of the acquiree's assets. The selling entity
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