In 2 0 1 5 Ebay, Inc. spun off PayPal, Inc. its 1 0 0 % owned
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Question:
In Ebay, Inc. spun off PayPal, Inc. its owned subsidiary.
Answer the following questions about this spin off:
A What is the business nontax reasons for this split upDo a google search to find articles regarding this spin off
B What were the terms of the deal? That is how were the Ebay, Inc shareholders compensated?
C This appears to have been a Type DDivisive Reorganization. What are the requirements to ensure that this type of reorganization is a taxfree reorganization. Be sure to include an indepth discussion of the IRC Section requirements.
D Do you think that Ebay, Inc qualified for tax free reorganization treatment when it spun off PayPal, Inc.? Explain your answer in detail.
E Taxpayers may use the taxfree provisions of corporate reorganizations under IRC to avoid the taxable provisions of corporate liquidations. The courts have formulated three doctrines to help determine whether a business transaction is truly a taxfree reorganization. Name these three doctrines and describe how these doctrines are applied to business transactions labeled as taxfree reorganizations
F Blake, a shareholder of Ebay, Inc stock owned shares of Ebay, Inc before the spin off Blakes cost basis in the Ebay shares was $ The number of shares Blake will receive in PayPal after the spinoff is based on the ratio you determined in B above. In addition, Blake, for whatever reason will also receive $ cash. Blake owns less than of either Ebay, Inc or PayPal Inc. The fair market value of the Ebay shares after spin off was $ per share and the fair market value of the PayPal shares after spin off was $ per share. What are the tax ramifications, if any, to Blake on the PayPal shares and cash of $ received by him upon spin off? If Blake needs to report income from the spin off, how much is the income to be reported and what is the character of the income? What is Blakes basis in his Ebay, Inc and PayPal, Inc. shares that he owns after the spin off?
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