A distribution from the other adjustment account (OAA) is not taxable to an S shareholder.
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Q2: S corporation status allows shareholders to realize
Q3: A newly formed S corporation does not
Q4: A corporation can revoke its S election
Q5: A former spouse is treated as being
Q6: If a resident alien shareholder moves outside
Q8: Tax-exempt income at the S corporation level
Q9: The AAA begins with a zero balance
Q10: Where the S corporation rules are silent,
Q11: An S election is made on the
Q12: Liabilities affect the owner's basis differently in
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