Saturday, March 09, 2013 9:21:11 PM
Taxable Event and Related Considerations.
The board of directors of each of Kat Exploration and Kat Gold considered other factors relating to the Spin-Off, including the expectation that the Spin-Off will not qualify as a tax-free exchange for U.S. federal income tax purposes under Sections 355 and 368(a)(1)(D) of the Code
FWIW...
May Google the sections they mention
The board of directors of each of Kat Exploration and Kat Gold considered other factors relating to the Spin-Off, including the expectation that the Spin-Off will not qualify as a tax-free exchange for U.S. federal income tax purposes under Sections 355 and 368(a)(1)(D) of the Code
FWIW...
May Google the sections they mention
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