Tax planning relating to the formation of a Section 1202 compliant “parent” holding company

Tax planning relating to the formation of a Section 1202 compliant “parent” holding company for a private equity firm to serve as the platform for an industry specific “roll up” strategy involving a series of acquisitions, as well as transactions involving the conversion of existing operating companies into Section 1202 compliant C-corporations in connection with the infusion of additional equity.

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