In determining whether a redemption distribution qualifies for sale treatment under the facts and circumstances tests of § 302, one factor typically considered is whether the redemption was motivated by a valid business purpose.
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Q9: M owns 60 percent of B Corporation
Q10: Mr.Smooth owns directly 70 percent of the
Q11: Under the constructive ownership rules of §
Q12: K owns 40 of the 100 shares
Q13: M owns 60 percent of B Corporation
Q15: Mr.S owns 40 percent of R Corporation
Q16: Clothing Inc.and Mr.Red Button formed Apparel
Q17: Mr.Y owns 40 percent of R Corporation
Q18: Clothing Inc.and Mr.Red Button formed Apparel
Q19: Corporate taxpayers favor sale treatment in stock
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