To demonstrate continuity of interests (COI), target shareholders must continue to own a substantial part of the value of the combined target and acquiring firms.
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Q36: If a transaction involves a cash purchase
Q37: Purchase accounting affects only the cash flow
Q38: In a cash purchase of assets. the
Q39: The IRS generally views forward triangular cash
Q40: In a triangular cash merger, the target
Q42: If the transaction is tax-free, the acquiring
Q43: Nontaxable transactions also are called tax-free reorganizations.
Q44: A buyer may divest a significant portion
Q45: If the acquirer invokes a 338 election
Q46: In a tax-free reorganization, the buyer is
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