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Fifth letter of a Nasdaq stock descriptor specifying that issue is exempt from Nasdaq listing requirements for a temporary period.


1. A symbol appearing next to a stock listed on NASDAQ indicating that the stock is temporarily exempt from listing requirement. All NASDAQ listings use a four-letter abbreviation; if a "C" follows the abbreviation, it indicates that the security being traded is currently exempt.

2. In money market mutual funds, a symbol indicating that the fund is exempt from federal income taxes.

3. In dividends, a symbol, which appears mainly in newspapers, that the dividend is liquidating.


1. Used in the dividend column of stock transaction tables of newspapers to indicate that the listed dividend is a liquidating dividend: City Inv 7.50c.
2. Used in money market mutual fund transaction tables in newspapers to indicate funds that are chiefly or wholly exempt from federal income taxes: Fld Tax Exmpt c.
References in periodicals archive ?
C's also have the most charismatic leader according to a recent El PaE[degrees]s poll; Rivera had an approval rating of 49 percent while current Prime Minsiter Mariano Rajoy disapproval rating was a whopping 73 percent.
8220;We believe that applying the Seven's C's for EB-5 project selection will significantly improve the probability that investors will secure their Green Card and get their investment returned.
Following the company's announcement after the market's close, the TSE said it will designate C's Create as a liquidation issue from Saturday to Oct.
Jonny C's new website operates on the Fission Web System, which contains built-in search engine optimization tools that have the potential to boost search engine rankings and improve visibility online.
2002-67 concludes that the donor's transfer of the car to B as C's authorized agent is treated as a transfer to C.
B has not established that he incurred an economic outlay for C's debt to the Bank, and B is not entitled to increase his tax basis in his C investments.
Allmerica P & C's consolidated net premiums written increased 2.
In 1997, the IRS determined that T was liable for income taxes and additions due from C's estate, under 31 USC Section 3713(b).
On the other hand, since C's prior years' ACE did not benefit from the LIFO method, C's ACE for 1994 through 1999 should be reduced by $121,000 ($110,000 + $11,000) annually to fully offset the total positive Sec.
Example 2: What if concurrently with C's purchase of Loss stock, Loss were to issue an option to A that would entitle A to acquire 10 shares of Loss stock in the future?
From a tax perspective, C's formation followed by the distribution of all of its stock looks like a tax-free formation under Sec.