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In this video, seven types of tax-free reorganizations under Section 368 of the US tax code are discussed. It starts with a Type A reorganization, referred to as "acquisitive," which involves an acquiring corporation transferring assets and voting stock to acquire a target corporation's stock. This contrasts with a divisive reorganization, where the acquiring firm creates a second corporation and transfers part of its assets to it. Each reorganization type, categorized under their respective sections (e.g., Type A under 368(a)(1)(A), Type B under 368(a)(1)(B)), follows specific rules and structures pertaining to acquisitions and internal corporate changes.