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For those unfamiliar with 382, this section of the tax code limits a corporation’s ability to utilize its “prechange” NOLs and other carryforward attributes following an ownership change.
← Return to all search results for "Cedar Corporation reported a $25,000,000 net operating loss in 2024. It also has a $100,000 NOL carryover from 2017. In 2025, Cedar reported taxable income ...
There is no assurance, however, that the NOL Plan will prevent an "ownership change" within the meaning of Section 382 and it is possible that acquisitions or sales of LivePerson common stock by ...
The Company's NOL Plan is similar to NOL Plans adopted by other companies with significant NOL tax assets. The purpose of the NOL Plan is to reduce the risk of substantial impairment to the Company's ...
Merrimack Pharmaceuticals, Inc. (Nasdaq: MACK) (the “ Company ” or “ Merrimack ”), announced today that its Board of Directors (the “ Board ...
For a further description of the risks and uncertainties that could cause actual results to differ from those expressed in these forward-looking statements, as well as risks relating to Merrimack ...
Merrimack Pharmaceuticals, Inc. (Nasdaq: MACK) (the “Company” or “Merrimack”), announced today that its Board of Directors (the “Board”) has extended the Section 382 net operating loss ...
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