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Spin-off entity Transaction value (in billions USD) Inflation adjusted (in billions 2022 USD) Ref 1 2024 General Electric Company: GE Aerospace, GE Vernova, GE Healthcare: 191 191 [1] 2 2008 Altria Group: Philip Morris International: 108 141 [2] [3] 3 2000 BCE: Nortel: 60 97 [3] 4 2013 Abbott Laboratories: AbbVie: 56 67 [3] 5 2015 eBay: PayPal ...
Pages in category "Corporate spin-offs" The following 200 pages are in this category, out of approximately 321 total. This list may not reflect recent changes .
Lists of corporate mergers and acquisitions include both takeovers and mergers of corporations. Most are organized by the main company involved in the transactions. Most are organized by the main company involved in the transactions.
3Com: Shares soared after announcing the corporate spin-off of Palm, Inc. 360networks: A fiber optic company that had a market capitalization of over $13 billion but filed for bankruptcy a few months later. AboveNet: Its stock rose 32% on the day it announced a stock split.
Equity carve-out (ECO), also known as a split-off IPO or a partial spin-off, is a type of corporate reorganization, in which a company creates a new subsidiary and subsequently IPOs it, while retaining management control. [1] [2] Only part of the shares are offered to the public, so the parent company retains an equity stake in the subsidiary ...
The Sumitomo Bank [121] [122] The Sakura Bank: 45.5 83.2 16 1999 Qwest Communications [123] US West: 44.0 80.5 17 1998 Hoechst AG [124] Rhône-Poulenc: 43.0 80.4 18 1999 Royal Bank of Scotland Group [125] National Westminster Bank plc: 42.5 77.7 19 1999 Fuji Bank [126] [121] Dai-Ichi Kangyo Bank Industrial Bank of Japan: 40.1 73.3 20 1997 ...
July 2019 – IBM Watson Marketing business spins off into standalone company Acoustic, after acquisition by Centerbridge Partners [229] [230] October 8, 2020 – IBM announced it was spinning off the Managed Infrastructure Services unit of its Global Technology Services division into a new public company, an action expected to be completed by ...
The parent company completes a spin-off of a subsidiary to the parent company's shareholders. Under Internal Revenue Code section 355, this could be tax-free if certain criteria are met. The former subsidiary (now owned by the parent company's shareholders, but separate from the parent company) then merges with a target company to create a ...