California: IRC section 338(g) Gain Must be Apportioned Using Target's Factors - a podcast by KPMG LLP (U.S.)

from 2021-01-31T22:10:42.023393

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The California Franchise Tax Board recently issued a chief counsel ruling concluding that gain recognized from an IRC ยง 338(g) election must be reported by the target entity on its final return and apportioned to California using its own apportionment factors.

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