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摘要

In Revenue Ruling 2003-7 [2003-5 IRB 1 (January 16, 2003)], the IRS held that a shareholder who entered into a variable prepaid forward transaction secured by a pledge of appreciated shares neither caused a sale of stock under general tax principles nor triggered a constructive sale under IRC section 1259. Revenue Ruling 2003-7 appears to be good news for investment banks that have seen declines in many areas of their business. The IRS' position may embolden those hesitant to move forward with variable prepaid forward transactions. The facts of Revenue Ruling 2003-7 are similar in many respects to those at issue in Stevenson v. Comm'r, a case that had been pending in the Tax Court. While Revenue Ruling 2003-7 appears to be good news for taxpayers, care must be taken in structuring transactions that fall outside the fact pattern.

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Copyright New York State Society of Certified Public Accountants Dec 2003