26 CFR · Internal Revenue

§ 1.367(a)-9T — Treatment of deemed section 351 exchanges pursuant to section 304(a)(1) (temporary).

eCFR · current through Aug 10, 2026

§ 1.367(a)-9T Treatment of deemed section 351 exchanges pursuant to section 304(a)(1) (temporary).

(a)Scope and general rule. This section applies to the extent that, pursuant to section 304(a)(1), a United States person is treated as transferring stock of a domestic or foreign corporation to a foreign corporation (foreign acquiring corporation) in exchange for stock of the foreign acquiring corporation in a transaction to which section 351(a) applies (deemed section 351 exchange). Except to the extent provided in paragraph (b) of this section, a transfer of stock by a United States person to a foreign acquiring corporation in a deemed section 351 exchange is not subject to section 367(a)(1).
(b)Special rule. Notwithstanding paragraph (a) of this section, if the distribution received by

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26 C.F.R. § 1.367(a)-9T (Treatment of deemed section 351 exchanges pursuant to section 304(a)(1) (temporary).) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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§ 1.367
26 C.F.R. § 1.367

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