Amends provisions of the Internal Revenue Code (IRC) concerning liquidation of corporate subsidiaries to provide that if a corporation receives a distribution from a regulated investment company or a real estate investment trust which is considered as being in complete liquidation of such company or trust, then, notwithstanding other specified IRC provisions, such corporation shall recognize and treat as a dividend from such company or trust an amount equal to the deduction for dividends paid allowable to such company or trust by reason of such distribution.
Introduced in Senate
Sponsor introductory remarks on measure. (CR S5453-5454)
Read twice and referred to the Committee on Finance.
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