公司分立
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长安汽车(000625.SZ):终止公司2024年度向特定对象发行股票事项
Ge Long Hui A P P· 2025-12-29 12:30
Core Viewpoint - Changan Automobile announced the completion of a corporate restructuring involving the split of its indirect controlling shareholder, the Equipment Group, into two entities: the Equipment Group (continuing entity) and China Changan Automobile Group Co., Ltd. (newly established entity) [1] Group 1 - The Equipment Group's 14.23% stake in Changan Automobile and 100% stake in Chen Zhi Automotive Technology Group will be transferred to China Changan Automobile [1] - Following the split, China Changan Automobile will become the indirect controlling shareholder of Changan Automobile [1] - The company has decided to terminate the issuance of shares to specific targets for the year 2024 due to significant changes in the subscription intentions of the parties involved [1] Group 2 - The company assures that the termination of the 2024 share issuance will not significantly impact its normal production and operations [1] - The decision is made after thorough communication and analysis with relevant parties [1] - The company emphasizes that the rights of shareholders, especially minority shareholders, will not be harmed by this decision [1]
皖能电力(000543.SZ):拟对钱营孜公司进行分立
Ge Long Hui A P P· 2025-11-07 08:28
Core Viewpoint - The company plans to separate its subsidiary, Qianyingzi Company, to optimize management structure, allocate resources effectively, enhance operational efficiency, and promote business synergy [1] Group 1 - Qianyingzi Company is a controlled subsidiary of the company, with a 50% equity stake held by the company [1] - The separation will result in the continued existence of Qianyingzi Company and the establishment of a new company [1]
皖能电力:拟对钱营孜公司进行分立
Ge Long Hui· 2025-11-07 08:15
Core Viewpoint - The company plans to spin off its subsidiary Qianyingzi Company to optimize management structure and enhance operational efficiency [1] Group 1 - Qianyingzi Company is a controlled subsidiary of the company, with a 50% equity stake held by the company [1] - The spin-off aims to rationally allocate resources and promote business synergy [1] - After the spin-off, Qianyingzi Company will continue to exist, and a new company will be established [1]
【身边税事】公司分立后公司承受原公司土地、房屋权属是否缴纳契税?
蓝色柳林财税室· 2025-09-13 13:52
Core Viewpoint - The article discusses the tax implications for a company that has split into two entities, A and B, and clarifies that A is exempt from paying deed tax for the properties it inherits from the original company under specific conditions outlined in the announcement by the Ministry of Finance and the State Administration of Taxation [1][7]. Group 1 - The announcement states that companies that split into two or more entities with the same investment subject are exempt from deed tax when inheriting land and property rights from the original company [1][7]. - The term "same investment subject" refers to the situation where the investors remain unchanged before and after the split, although their investment proportions may vary [7]. - The effective period for this announcement is from January 1, 2024, to December 31, 2027 [7].