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A 1256 Contract, as defined in section 1256 of the U.S. Internal Revenue Code, is any regulated futures contracts, foreign currency contracts, non-equity options (broad-based stock index options (including cash-settled ones), debt options, commodity futures options, and currency options), dealer equity options, and any dealer security futures contracts.
During the Eurozone crisis, and particularly in the context of the Greek financial crisis, the term "haircut" acquired more specifically the meaning of state-debt holders receiving less than par. [ 9 ] : 27 It's "the market's euphemism for wiping out a large portion of the debt owed to the creditors".
A put is the option to sell a futures contract, and a call is the option to buy a futures contract. For both, the option strike price is the specified futures price at which the futures is traded if the option is exercised. Futures are often used since they are delta one instruments. Calls and options on futures may be priced similarly to those ...
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Short-term capital gains are subject to the same tax brackets as ordinary income but are also subject to the 3.8% net investment income tax. If the incentive stock option is sold above the strike price but below the exercise price in the same tax year, the income is recognized solely as ordinary income.
The most common way to trade options is via standardized options contracts listed by various futures and options exchanges. [12] Listings and prices are tracked and can be looked up by ticker symbol. By publishing continuous, live markets for option prices, an exchange enables independent parties to engage in price discovery and execute ...
Miscellaneous itemized deductions are everything except the twelve itemized deductions listed in IRC § 67(b). [2] When considering whether something would qualify as a miscellaneous itemized deduction, and thus subject to the two-percent haircut, a taxpayer should refer to the twelve itemized deductions listed in IRC § 67(b).