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With the current low tax rates applied to qualified dividends received on or before December 31, 2010, and the possibility of these rates being increased sooner under an Obama presidency, it is critically important for both C and S corporations (and their shareholders) to understand the ordering rules and tax ramifications of corporate distributions fully — before they are made.

General Definitions The controlling definitions, which impact the tax treatment for C and S Corp shareholders include: (DRD) In general, dividends received by a corporate stockholder from an affiliated domestic corporation will be able to exclude 100 percent of such dividends received (on the theory the profits have already been subject to corporate-level taxation).

Lines 2 and 3 ordinary income and other additions -0-. In United Kingdom and United States law and business, liquidation is the process by which a company (or part of a company) is brought to an end, and the assets and property of the company are redistributed.Liquidation is also sometimes referred to as winding-up or dissolution, although dissolution technically refers to the last stage of liquidation.In addition, the term "liquidation" is sometimes used when a company wants to divest itself of some of its assets.This is used, for instance, when a retail establishment wants to close stores.Some say to put on Sch K and K-1 (Line 16D) and others say to not report on 1120S but to show on 1099-Div Box 8 and Box 9.