46 U.S.C. § 53513

Corporate reorganizations and partnership changes

Under joint regulations—

(1)

a transfer of a capital construction fund from one person to another person in a transaction to which section 381 of the Internal Revenue Code of 1986 ( 26 U.S.C. 381 ) applies may be treated as if the transaction is not a nonqualified withdrawal; and

(2)

a similar rule shall be applied to a continuation of a partnership (within the meaning of subchapter K of chapter 1 of such Code ( 26 U.S.C. 701 et seq.)).

( Pub. L. 109–304, § 8(c) , Oct. 6, 2006 , 120 Stat. 1599 .)