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A United States Corporation A. Can avoid being classified as a US tax resident in the future if a foreign company merges into it B.

A United States Corporation

A. Can avoid being classified as a US tax resident in the future if a foreign company merges into it

B. Can avoid being classified as a US tax resident in the future if it merges into a foreign company

C. Can avoid being classified as a US tax resident in the future if a foreign company merges into it

E. Cannot avoid being classified as a US tax resident in the future

D. is not a US tax resident unless it is also controlled from the US

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