Tap any paragraph to write a margin note. Your notes collect in the Desk below the text and file under cases with @. The side-by-side margin rail opens on a larger screen.

Code · Maryland · Tax - Property

§ 13-404

549 words·~2 min read·/md/tax-property/13-404

A research copy — for the controlling text, always check the official state or federal source. Not legal advice.

§13–404.
(a)The Department shall collect county transfer tax at the rate set by each county for articles of consolidation or articles of merger filed with the Department as required by § 3–107, § 4A–703, § 9A–903, or § 10–208 of the Corporations and Associations Article, or other document filed with the clerk of the circuit court of a county or the Department which evidences a merger or consolidation of foreign corporations, foreign limited liability companies, foreign partnerships, or foreign limited partnerships.
(1)Articles of merger or other document which evidences a merger of foreign corporations are not subject to county transfer tax if the articles of merger or other document which evidences a merger of foreign corporations are for a transfer of real property from:
(i)a parent corporation to its subsidiary corporation;
(ii)a subsidiary corporation to its parent corporation where the parent corporation:
1. previously owned the real property;
2. owns the stock of the subsidiary and has owned that stock for a period greater than 18 months; or
3. acquires the stock of a subsidiary corporation which has been in existence and has owned the real property for a period of 2 years;
(iii)a corporation merging out of existence to its successor corporation where recordation tax and, if then required to have been paid, transfer tax were paid when the corporation merging out of existence acquired title to the real property; or
(iv)a corporation merging out of existence pursuant to reorganizations described in § 368(a) of the Internal Revenue Code.
(2)Articles of consolidation or other document which evidences a consolidation of foreign corporations are not subject to county transfer tax if the articles of consolidation or other document which evidences a consolidation of foreign corporations are for a transfer of real property from a consolidating corporation to its successor where recordation tax and, if then required to have been paid, transfer tax were paid when the corporation consolidating acquired title to the real property.
(c)A county that imposes a county transfer tax shall certify annually to the Department:
(1)the rate of the tax;
(2)the applicability of the county transfer tax; and
(3)the legal authority for the county transfer tax.
(d)The Department shall:
(1)collect any county transfer tax imposed under subsection
(a)of this section;
(2)deduct the cost to the Department of collecting county transfer tax under this section; and
(3)distribute the remainder of the revenue to the county in which the property that is transferred is located.
(1)Articles of merger, articles of consolidation, or other document which evidences a merger or consolidation of foreign corporations or foreign limited liability companies or foreign partnerships that are subject to county transfer tax under this section also may be taxable under § 13–202 or § 13–302 of this title or § 12–102 of this article.
(2)Before a transfer of title may be made under articles of transfer, articles of merger, articles of consolidation, or other document which evidences a merger or consolidation of foreign corporations or foreign limited liability companies or foreign partnerships for any property for which a property certificate is required under § 3–112 or § 4A–708 of the Corporations and Associations Article, all recordation and transfer taxes shall be paid.
★   the supreme law of the land   ★
Don't Tread on Me
E Pluribus Unum — out of many, one

"If you don't know your rights, you don't have any."

Marginalia · a citizen's law index
A research desk, not legal advice. Always read the cited source before relying on a summary.
Questions or an issue? support@self-law.org
disclaimerMarginalia is a research index, not a law firm. Nothing on this site is legal, tax, or financial advice and no attorney–client relationship is formed by using it. Statutes, regulations, and case law change; summaries, search results, AI output, and member posts may be incomplete, out of date, or wrong. Any interpretation drawn from material on this site should be validated by a licensed attorney in your jurisdiction before you act on it.