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This video discusses the seven types of tax-free reorganizations under Section 368 of the U.S. tax code. It starts with Type A, known as an acquisitive reorganization, which involves an acquiring corporation transferring assets and voting stock in exchange for the target corporation's stock. The key point is that in this process, the acquiring firm is directly purchasing the target by exchanging its stock for the target's. This contrasts with divisive reorganizations, where the acquiring firm creates a second corporation and transfers some assets to it. Each type of reorganization is defined under specific subsections of Section 368, such as Type B under Section 368(a)(1)(b).