(C) Certain transfers disregarded.--The
transfer of properties or liabilities
(including by contribution or distribution)
shall be disregarded if such transfers are part
of a plan a principal purpose of which is to
avoid the purposes of this section.
(D) Special rule for related
partnerships.--For purposes of applying
subsection (b) to the acquisition of a domestic
partnership, except as provided in regulations,
all domestic partnerships which are under
common control (within the meaning of section
482 of the Internal Revenue Code of 1986) shall
be treated as I partnership.
(E) Treatment of certain rights.--The
Secretary shall prescribe such regulations as
may be necessary to--
(i) treat warrants, options,
contracts to acquire stock, convertible
debt instruments, and other similar
interests as stock; and
(ii) treat stock as not stock.
(2) Expanded affiliated group.--The term ``expanded
affiliated group'' means an affiliated group as defined
in section 1504(a) of the Internal Revenue Code of 1986
(without regard to section 1504(b) of such Code),
except that section 1504 of such Code shall be applied
by substituting ``more than 50 percent'' for ``at least
80 percent'' each place it appears.
(3) Foreign incorporated entity.--The term
``foreign incorporated entity'' means any entity which
is, or but for subsection (b) would be, treated as a
foreign corporation for purposes of the Internal
Revenue Code of 1986.
(4) Other definitions.--The terms ``person'',
``domestic'', and ``foreign'' have the meanings given
such terms by paragraphs (1), (4), and (5) of section
7701(a) of the Internal Revenue Code of 1986,
respectively.
(d) Waivers.--The Secretary shall waive subsection (a) with
respect to any specific contract if the Secretary determines
that the waiver is required in the interest of national
security.
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Subtitle E--Human Resourc
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