Abstract

The IRS ruled that a foreign private foundation will not have an excess business holding in a company because the company is not a business enterprise and will constructively own only 20 percent of the voting stock of another company that is a business enterprise (Priv. Ltr. Rul. 201737003).

Talk to us

Join us for a 30 min session where you can share your feedback and ask us any queries you have

Schedule a call

Disclaimer: All third-party content on this website/platform is and will remain the property of their respective owners and is provided on "as is" basis without any warranties, express or implied. Use of third-party content does not indicate any affiliation, sponsorship with or endorsement by them. Any references to third-party content is to identify the corresponding services and shall be considered fair use under The CopyrightLaw.