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Re: Our-Street post# 28216

Thursday, 08/03/2006 2:07:44 AM

Thursday, August 03, 2006 2:07:44 AM

Post# of 169278
Since you know nothing, I will enlighten you.


The Merger qualifies as a tax-free reorganization under Section 368 of the Internal Revenue Code of 1986, as amended, meaning that as the Reorganized Holdings Corporation begins to trade it has an option to adjust the market (trading price) to reflect the new Reorganized Holdings Corporations audited financials as it reflects on the per share book value.

This is also described in the 8k....did you even read the 8k?

Will you quit asking this question over and over again? Surely your crystal already knew the answer.


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