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An S corporation (or S Corp), for United States federal income tax, is a closely held corporation (or, in some cases, a limited liability company (LLC) or a partnership) that makes a valid election to be taxed under Subchapter S of Chapter 1 of the Internal Revenue Code. [1] In general, S corporations do not pay any income taxes. Instead, the ...
Alliance California Municipal Income Fund, Inc. AKP: US Alliance Data Systems Corporation: ADS: US Alliance One International, Inc. AOI: US AllianceBernstein Global High Income Fund, Inc. AWF: US AllianceBernstein Holding L.P. AB: US AllianceBernstein National Municipal Income Fund, Inc. AFB: US Alliant Energy Corporation: LNT: US AllianzGI ...
S&P 500 constituent Oracle Corp. acquired Cerner. [31] April 4, 2022: CPT: Camden Property Trust: PBCT: People's United Financial: S&P 500 constituent M&T Bank Corp. acquired People's United Financial. [32] March 2, 2022: MOH: Molina Healthcare: INFO: IHS Markit: S&P 500 constituent S&P Global Inc. acquired IHS Markit. [33] February 15, 2022 ...
MCW replaced EXLS which replaced EQT Corp. in the S&P 400 after it was moved to the S&P 500. [80] October 3, 2022: XPER: Xperi, Inc. SLQT: SelectQuote: Xperi Holding Corporation spun off Xperi Incorporated. Post spin off both companies remained in the S&P 600 but Xperi Holding Corporation was renamed to Adeia Incorporated (Nasdaq: ADEA). SLQT ...
TOKYO (Reuters) -U.S. private equity firm Bain Capital is set to raise its offer price for Japan's Fuji Soft to 9,600 yen ($63.35) per share, the Nikkei newspaper reported on W… Associated Press ...
Illinois established a new type of entity called the "benefit LLC", making the state the first to allow limited liability companies the same opportunities afforded to Illinois corporations under the state's benefit corporation law. [14] [15] Washington created social purpose corporations in 2012 with a similar focus and intent. [16] [17]
To address these issues, a private equity fund can set up a U.S. feeder corporation known as a blocker corporation. The foreign and tax exempt investors can invest through the blocker corporation, and then they are no longer personally considered to be partners, as it is the domestic corporation that is the owner of equity in the fund.
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