03.01.2023 | Duration: 38:05
Podcast discusses Notice 2023-7 and its impact on the corporate alternative minimum tax treatment of M&A transactions
Episode 02-2023 |聽There are plenty of areas of uncertainty regarding the corporate alternative minimum tax (CAMT) for which guidance is urgently needed; arguably none is more pressing than the CAMT consequences of M&A transactions. In Notice 2023-7, the government provided some much-needed initial guidance in this area, addressing both the impact of an M&A transaction on whether a corporation is an 鈥渁pplicable corporation鈥� subject to the CAMT and the determination of the 鈥渁djusted financial statement income鈥� of the parties to certain nonrecognition transactions.
But the notice has raised more questions than it has answered. Can an acquisition retroactively change the CAMT status of an acquiring corporation? What is the scope of the covered nonrecognition rules? How about the CAMT consequences of many common M&A transactions not directly addressed by the notice, such as taxable transactions and nonrealization events? And what does any of this have to do with international tax?聽聽
Join us as our host聽Gary Scanlon听颈苍迟别谤惫颈别飞蝉聽Amy Chapman听补苍诲听Tim Nichols聽from the Corporate group in the firm's Washington National Tax practice to explore these issues and more on the latest episode of 乐鱼(Leyu)体育官网 Inside International Tax.
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