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In this video, the seven types of tax-free reorganizations under Section 368 of the U.S. tax code are discussed. The tutorial begins with the Type A reorganization, known as an "acquisitive" reorganization, which involves an acquiring corporation transferring assets and voting stock in exchange for the target corporation's stock. This means that the acquirer will exchange some of its own voting stock for shares of the target company. The distinction is made with "divisive reorganizations," where the acquiring firm creates a new corporation to facilitate the transfer of assets. Each type of reorganization is detailed according to its specific section in the tax code.