Key Consideration in Forming a Corporation
What you will learn
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– Formation of a Corporation under IRC Section 351
Rules for the transfer of property in exchange for stock.
Understanding tax-deferred transfers.
– Transfer of Property Subject to Indebtedness
Detailed exploration of Section 357(b) and Section 357(c).
Implications of liabilities exceeding the basis of the transferred property
– Services Rendered to a Corporation in Exchange for Stock
Tax treatment of stock received in exchange for services.
Practical examples and case studies
– Controlled Groups and Closely Held Corporations
Defining and understanding controlled groups.
Unique considerations for closely held corporations.
English
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