In general, if a shareholder's ownership interest is not diminished as a result of a stock redemption, the Code will treat the transaction as a sale or exchange.
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Q38: The rules used to determine the taxability
Q39: Under certain circumstances, a distribution can generate
Q40: Regardless of any deficit in current E
Q41: As a result of a redemption, a
Q42: The tax treatment of corporate distributions at
Q44: Vireo Corporation redeemed shares from its sole
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