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Date

Tags:

Rule
801.10 - Question re: Tax Payment
Staff
Whitehead, Nora
Response/Comments

We agree with you. That older interpretation is out of date and incorrect (on the 338(h)(10) issue).

Question

From: Whitehead, Nora
Sent: Wednesday, June 24, 2015 9:23AM
To:
(Redacted),
Cc: Gillis, Diana L.

Subject: RE: 801.10 - Question re: Tax Payment

We agree with you. That older interpretation is out of date and incorrect (on the 338(h)(10) issue).

Nora Whitehead
(202) 326-3262
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From: (Redacted)
Sent: Wednesday, June 24, 2015 6:10AM
To: Walsh, Kathryn E.; Gillis, Diana L; Whitehead, Nora

Subject: 801.10 - Question re: Tax Payment

Kate, Diana and Nora,

Good morning—I want to confirm that an additional payment to target's shareholders to compensate them for an incremental tax cost related to the transaction would not be included in the size-of-transaction consistent with this [0307002) prior interpretation.

In addition to cash consideration to be paid for an acquisition of voting securities, Buyer will pay to target's shareholders an additional payment to compensate them for taxes that the shareholders likely will pay as a result of an election pursuant to 338(h)(10) of the Internal Revenue Code, whereby the acquisition of target's equity will be treated as an asset acquisition for Federal tax purposes. This payment will not add to the cash that the shareholders will receive in consideration for their shares; rather, it would be designed to ensure that the net after-tax consideration that the selling shareholders receive in the transaction i s no less than what it would be without the special tax election. In that sense, it seems like it would be treated no differently than a transaction expense, and not included in the size-of-transaction.

About Informal Interpretations

Informal interpretations provide guidance from previous staff interpretations on the applicability of the HSR rules to specific fact situations. You should not rely on them as a substitute for reading the Act and the Rules themselves. These materials do not, and are not intended to, constitute legal advice.

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