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If an acquirer makes no Sec 338 election and there's a step-up in the target's net assets for accounting purposes, then the acquirer creates a
If an acquirer makes no Sec 338 election and there's a step-up in the target's net assets for accounting purposes, then the acquirer creates a new deferred tax asset at the time of the acquisition (and reverses this deferred tax asset in the years when he depreciates the asset that was stepped up)
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