I have a client who is the 100% shareholder of a C-Corp. The client has owned the C-Corp for 6 years and in 2006 took a cash distribution from the C-Corp of about $40,000. Instead of treating the distribution as a loan the client would like to treat the amount as a dividend. Could this type of dividend be treated as a qualified dividend?
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Originally posted by Taxman View PostI have a client who is the 100% shareholder of a C-Corp. The client has owned the C-Corp for 6 years and in 2006 took a cash distribution from the C-Corp of about $40,000. Instead of treating the distribution as a loan the client would like to treat the amount as a dividend. Could this type of dividend be treated as a qualified dividend?
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