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The following table contains the facts for this problem. You are working for Cabo (the acquirer), who wants to purchase Golden Gate. Cabo is considering

The following table contains the facts for this problem. You are working for Cabo (the acquirer), who wants to purchase Golden Gate. Cabo is considering a taxable stock purchase at a price of $150,000 or some type of tax-free acquisition.

Fact Pattern for Problem 4

Purchase price $150,000

Net tax basis of target's assets $20,000

Target shareholders' basis in target stock $5,000

t sub c 35%

t sub cg 20%

Estimated holding period for acquiring firm stock obtained in the merger 4 years

Estimated pretax appreciation in acquirer stock post acquisition 12.500%

r 10.324%

Tax-Free Acquisition Structures Taxable Structure
Section 368 "A" (1) Section 368 "B" (2) Section 351 (4) Stock Sale without a Section 338 Election
Purchase price: $150,000 $150,000 $150,000 $150,000
Cash Component 60,000 - 90,000 150,000
Stock Component 90,000 150,000 60,000 -

Based on the facts and the data in the table:

a. What is Golden Gate shareholders' after tax wealth under a Section 368 "A" structure based on the terms presented in the table?

b. What is Golden Gate shareholders' after tax wealth under a Section 368 "B" structure based on the terms presented in the table?

c. What is Golden Gate shareholders' after tax wealth under a Section 351 structure based on the terms presented in the table?

d. At what pretax purchase price in a Section 368A will the shareholders of Golden Gate be indifferent, relative to a taxable stock purchase at $150,000?

e. At what pretax purchase price in a Section 368 B will the shareholders of Golden Gate be indifferent, relative to a taxable stock purchase at $150,000?

f. At what pretax purchase price in a Section 351 are the shareholders of Golden Gate indifferent, relative to a taxable stock purchase at $150,000?

g. Ignoring nontax costs, will Cabo prefer one of the tax-free structures relative to the taxable stock acquisition at $150,000? Why?

h. How large would the nontax costs of a Section 368 B have to be to cause Cabo to prefer the taxable stock acquisition at a price of $150,000 relative to the Section 368 B at the pretax price computed in part f?

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