Skip to main content
HR 2406 107th Congress House Taxation Business income tax Capital gains tax Commerce Corporate reorganizations Finance and Financial Sector Income tax Mutual funds Partnerships Securities Stocks Swaps (Finance) Tax exclusion

To amend the Internal Revenue Code of 1986 to prevent the avoidance of gain recognition through swap funds.

Introduced: June 28, 2001 Introduced by: Neal, Richard E. Democratic · Massachusetts See on congress.gov
 Everywhere this bill has been 2 steps
Introduced
In committee
Reported out
Passed House
Passed Senate
To President
Became law
Jun 28, 2001
Referred to the House Committee on Ways and Means.
Jun 28, 2001
Introduced in House
 Plain-English summary Congressional Research Service
Amends the Internal Revenue Code to include as an exception to the nonrecognition of gain or loss (thus subjecting to taxation) upon certain stock transfers the transfer of: (1) an interest in an entity if the return on such interest is limited and preferred; and (2) interests in any entity if substantially all of the entity assets consist of either limited and preferred assets or assets previously excepted from such nonrecognition requirement.

Includes as an additional exception a transfer of property to a corporation if such property is marketable securities (other than a diversified portfolio of securities), the corporation is an investment company or engages in investment company activities, and the transfer results, directly or indirectly, in diversification of the transferor's interest.

Includes as an exception to the nonrecognition of gain or loss for contributions to a partnership those gains realized on a transfer of property to a partnership if, were the partnership incorporated: (1) it would be treated as an investment company; or (2) the exceptions with regard to corporate stock transfers would not apply.

What's happening now June 28, 2001

Referred to the House Committee on Ways and Means.

 Committees of jurisdiction 1