“B” Reorganization

Classification of Accepted Patterns of Reorganization

“B” Reorganization

Type “B” involves the acquisition of stock of one corporation by another, and the target corporation becomes a subsidiary of the acquiring, as a result.

Requirements of “B” Reorganization

1) The acquisition must be one of a series of acquisitions that are part of an overall plan to acquire the requisite control.

2) The plan of acquisition must be carried out in a relatively short period of time such as 12 months.

3) The acquisition must be made solely for voting stock.

Explanation:

* Targets shareholders exchange Target stock solely for Acquiring ‘s voting stock.

*T1 and T2 exchange the C stock received for the T1 and T2 stock held by their shareholders, and then TI and T2 dissolve.

* Acquiring must be in control of Target immediately after the exchange.

*Target becomes Acquiring ‘s subsidiary.

*Targets former shareholders become Acquiring shareholders.

Proceed to “C” Reorganization

We hope you found this article about “”B” Reorganization” helpful.  If you have questions or need expert tax or family office advice that’s refreshingly objective (we never sell investments), please contact us or visit our Family office page  or our website at www.GROCO.com.  Unfortunately, we no longer give advice to other tax professionals gratis.

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Alan L. Olsen, CPA, Wikipedia Bio

 

 

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The American Dreams show was the brainchild of Alan Olsen, CPA, MBA. It was originally created to fill a specific need; often inexperienced entrepreneurs lacked basic information about raising capital and how to successfully start a business.

Alan sincerely wanted to respond to the many requests from aspiring entrepreneurs asking for the information and introductions they needed. But he had to find a way to help in which his venture capital clients and friends would not mind.

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