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Tammy and Barry formed Pheasant Corporation several years ago in a transaction that qualified under 351

AD admin3 · 📅 1 October 2024 · ⏱ 1 min read
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Tammy and Barry formed Pheasant Corporation several years ago in a transaction that qualified under 351. Both shareholders serve as officers and on the board of directors of Pheasant. In the current year, Pheasant Corporation redeemed all of Barry’s shares in the corporation with a property distribution. What are the tax issues for Barry and Pheasant? What makes a transaction a corporate liquidation?

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