Persons who were S shareholders during any part of the year before the election date but were not shareholders when the election was made also must consent to an S election.
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Q16: A corporation may alternate between S corporation
Q17: Distributions of appreciated property by an S
Q18: An S corporation cannot incur a tax
Q19: An S corporation's AAA can have a
Q20: NOL carryforwards from C years can be
Q22: An S corporation shareholder's stock basis includes
Q23: An item such as tax-exempt interest that
Q24: Any distribution of cash or property by
Q25: The termination of an S election occurs
Q26: Tax-exempt income at the corporate level flows
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