• Research Paper on:
    IRC 303 and its Applicability

    Number of Pages: 6

     

    Summary of the research paper:

    In six pages this tax code's advantages are examined in a consideration of how after the owner of a corporation dies, stock can be redeemed. Five sources are cited in the bibliography.

    Name of Research Paper File: RT13_SA210303.rtf

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    Unformatted Sample Text from the Research Paper:
    liabilities and they also provide other benefits. One tax problem that crops up when someone dies is taxation on the estate itself and also, funeral expenses can be costly. A  provision in the IRS code allows for the tax free withdrawal of funds utilized for expenses related to the deceased, and this is referred to as IRC 303. Gelband  (1992) explains that taxation of withdrawals from family-owned businesses may be handled in a variety of ways and much is dependent upon the amount of money that is withdrawn as  well as the value of the business, some of which is contingent on interpretations of Section 303 of the tax code. In fact, the Internal Revenue Code Section 303  which pertains to distributions and redemption of stock to pay death taxes, is quite applicable in some situations. It is related to what happens after the death of an individual  who holds a corporation. Section 303 lets a corporation buy stock from the estate in order to pay death taxes, funeral expenses, as well as the cost of  estate administration and all of this is income tax free ("Stock Redemption," 2002). A stock under some circumstances, may be eligible for a Section 303 redemption, but it must  be included in the gross estate for estate tax purposes (2002). The value of the stock must comprise an amount that is equivalent to more than 35% of ones  "adjusted gross estate" (2002). The corporation is also required to redeem the stock from the corporate surplus, and the redemption has to occur within a four year period after the  death (2002). In other words, the Section 303 redemption is designed for families who have corporations where the death of a primary in the corporation would necessitate expenses. Although it 

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