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but we just looked at were the three basic structures for a buy-sell arrangement that cross purchase the promissory note arrangement and the Sherrod emption arrangement there are some other variations on this theme they all use that same basic set of principles that weve just discussed one such arrangement would be a hybrid arrangement in a hybrid arrangement we would use the promissory note arrangement up to the available lifetime capital gains exemption and then share Redemption agreement afterwards it allows a fair bit of tax efficiency youre going to take advantage here at left on capital gains exemption of course you have to have that available to make it worthwhile and then the rule and redeem rollin redeem is done where we have a surviving spouse what were going to do here is roll the shares over to that surviving spouse on a tax-free basis and then have the surviving spouse redeem the shares back to the corporation using the tax-free capital dividend it results in no tax pay