A closely-held C corporation has a significant portion of its value tied to the ownership interest of its 70-year-old founder. The founder's estate anticipates a large estate tax liability upon his death. Which of the following allows the corporation to redeem a portion of the decedent's stock to pay for funeral expenses, estate administration costs, and death taxes, with the redemption being treated as a capital transaction rather than a dividend?
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A
A Section 1244 stock sale
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B
An IRC Section 303 stock redemption
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C
A Reverse Section 303 stock redemption
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D
A private annuity arrangement