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Federal regulations · Through 2026-08-25 · Newer source version available

26 CFR 1.544-2: -2 Constructive ownership by reason of indirect ownership.

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Where this section sits in the code
  1. Title 26—Internal Revenue
  2. CHAPTER I—INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY
  3. SUBCHAPTER A—INCOME TAX
  4. PART 1—INCOME TAXES

The following example illustrates the application of section 544(a)(1), relating to constructive ownership by reason of indirect ownership:

Example.

A and B, two individuals, are the exclusive and equal beneficiaries of a trust or estate which owns the entire capital stock of the M Corporation. The M Corporation in turn owns the entire capital stock of the N Corporation. Under such circumstances the entire capital stock of both the M Corporation and the N Corporation shall be considered as being owned equally by A and B as the individuals owning the beneficial interest therein.

Collected 2026-08-27T02:25:11Z. Source file · JSON

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