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ESOP Dividends Paid Proposed Rules Emphasizes IRS Opposition to Boise Cascade Case Deloitte ![]() Aug. 31, 2005 Excerpt: The proposed regulations reverse the IRS private letter ruling under which a corporation may take a deduction for the payment of 'applicable dividends' to ESOP participants; Prop. Treas. Reg. § 1.404(k)-2 explains that 'only the corporation paying the dividend is entitled to the deduction with respect to applicable employer securities held by an ESOP.' |
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