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Paccar Employees: Handling Single-Stock Concentration with a Section 351 Strategy

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Healthcare Provider Update: Healthcare Provider for Paccar Paccar Inc., a company known for manufacturing high-quality trucks and providing related services, offers healthcare benefits to its employees, primarily through UnitedHealthcare. This partnership allows Paccar to provide comprehensive health insurance options that cater to various employee needs, enhancing overall employee well-being and satisfaction. Healthcare Cost Increases in 2026 Looking ahead, healthcare costs for Paccar employees may experience notable increases in 2026, driven largely by anticipated spikes in Affordable Care Act (ACA) premiums. Reports indicate that many states could see premium hikes exceeding 60%, with overall average increases projected around 18% to 20%. This is compounded by the potential expiration of enhanced federal subsidies, which could further escalate out-of-pocket costs for employees, potentially leading to over a 75% rise in monthly premiums for many. As a result, careful planning and consideration of these impending changes will be critical for Paccar employees managing their healthcare expenses. Click here to learn more

'Paccar employees with concentrated stock positions should understand that strategies like a Section 351 exchange can offer flexibility in managing large unrealized gains while preserving long-term planning options.' – Tyson Mavar, a representative of The Retirement Group, a division of Wealth Enhancement.

'Paccar employees facing concentrated stock exposure may find that a Section 351 exchange provides an effective way to mitigate risk and maintain control over the timing of potential tax liabilities.' – Wesley Boudreaux, a representative of The Retirement Group, a division of Wealth Enhancement.

In this article, we will discuss:

  1. When a Section 351 exchange can help diversify concentrated stock positions without an immediate tax bill.

  2. The core eligibility rules (80% control test) and basis/step-up mechanics that drive tax deferral.

  3. Sample case studies (James & Sarah) illustrating the numbers and outcomes.

The Strategic Potential of Section 351: An Analysis of a Multi-Stock Case in Tax-Deferred Reorganization

A sizable amount of the wealth of many high-earning professionals at Paccar may be invested in a small number of highly valued equities, including company shares accumulated through restricted stock units (RSUs), the employee stock purchase plan (ESPP), or equity awards earned due to long tenure. While rebalancing may seem out of reach due to the tax ramifications of selling these positions, investors can make tax-deferred contributions of appreciated assets to a new business entity through a Section 351 exchange. When an investor wants to manage several sizable, embedded gains at once, this tactic may be especially useful.

Think about James, a client with a $10 million portfolio. The value of one stock investment, which he purchased for $50,000, has increased to $1 million, or 10% of his total portfolio. At a long-term capital gains rate that can reach 23.8% for certain high-income taxpayers (20% maximum long-term capital gains rate plus the 3.8% Net Investment Income Tax), selling this position would result in a $950,000 capital gain and an estimated $226,100 tax bill. The amount available for reinvestment would be reduced by this tax.

Section 351(a) of the Internal Revenue Code provides: “If property is transferred to a corporation by one or more persons solely in exchange for stock in such corporation and immediately after the exchange such person or persons are in control (as defined in section 368(c)) of the corporation, no gain or loss shall be recognized.” Under Section 368(c), “control” generally means ownership of at least 80% of the voting power and 80% of each class of non-voting shares.

The transferor or transferors must own at least 80% of the new corporation’s stock right after the exchange to qualify for this treatment. This can be done for investors with sizable portfolios by joining a larger seeding group or acting as the principal seeder of a new entity.

In a Section 351 transaction, any built-in gains are preserved because the shareholder’s basis in the received stock typically carries over from the contributed property. If the shares are held until death, a step-up in basis under Section 1014 may eliminate the deferred gain.

Another client example involves Sarah, who has a $13 million portfolio. She owns two appreciated stocks:

  • Stock A: Originally $300,000, now worth $3 million.

  • Stock B: Initial cost basis $500,000, now worth $3 million.

At a long-term capital gains rate that can reach 23.8% for certain high-income taxpayers, the aggregate unrealized gain of $5.2 million would translate into an estimated tax of roughly $1,237,600 if sold today, which can constrain portfolio adjustments.

For employees of Paccar holding concentrated positions, taking part in a Section 351 exchange can reduce concentration risk and defer recognition of these gains without an immediate tax bill. If assets receive a step-up in basis at death, the deferred gain may be fully eliminated under current law, and deferral can provide flexibility in managing future tax obligations.

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Sources:

1.  Internal Revenue Service.  Revenue Ruling 2003-51 . Internal Revenue Bulletin 2003-21, 2003. PDF.

2.  Friedel, David B., and Yaw O. Awuah. “ Sec. 351 Control Requirement: Opportunities and Pitfalls .”  The Tax Adviser , 1 July 2014. Web.

3.  Internal Revenue Service. “ Net Investment Income Tax (NIIT) .”  IRS.gov , last reviewed 1 July 2025. Web.

4.  Internal Revenue Service.  Publication 551: Basis of Assets . December 2024 revision, posted 18 February 2025. PDF.

5.  FINRA Investor Education Foundation (FINRA). “ Concentrate on Concentration Risk .”  FINRA.org , 15 June 2022. Web.

What is the primary purpose of Paccar's 401(k) Savings Plan?

The primary purpose of Paccar's 401(k) Savings Plan is to help employees save for retirement by offering tax advantages and a variety of investment options.

How can Paccar employees enroll in the 401(k) Savings Plan?

Paccar employees can enroll in the 401(k) Savings Plan by completing the online enrollment process through the company’s benefits portal.

What is the minimum contribution percentage for Paccar's 401(k) Savings Plan?

The minimum contribution percentage for Paccar's 401(k) Savings Plan is typically set at 1% of the employee's eligible pay.

Does Paccar offer a company match for contributions made to the 401(k) Savings Plan?

Yes, Paccar offers a company match for contributions made to the 401(k) Savings Plan, which helps employees maximize their retirement savings.

What types of investment options are available in Paccar's 401(k) Savings Plan?

Paccar's 401(k) Savings Plan offers a variety of investment options, including mutual funds, target-date funds, and company stock.

Can Paccar employees change their contribution rate to the 401(k) Savings Plan?

Yes, Paccar employees can change their contribution rate to the 401(k) Savings Plan at any time through the benefits portal.

At what age can Paccar employees begin to withdraw from their 401(k) Savings Plan without penalties?

Paccar employees can begin to withdraw from their 401(k) Savings Plan without penalties at age 59½.

What happens to Paccar's 401(k) Savings Plan if an employee leaves the company?

If an employee leaves Paccar, they have several options for their 401(k) Savings Plan, including rolling it over to another retirement account, cashing it out, or leaving it with Paccar.

Does Paccar allow loans against the 401(k) Savings Plan?

Yes, Paccar allows employees to take loans against their 401(k) Savings Plan, subject to certain terms and conditions.

Is there a vesting schedule for Paccar's 401(k) company match?

Yes, Paccar has a vesting schedule for the company match in the 401(k) Savings Plan, which typically requires employees to work for a certain number of years before they fully own the matched funds.

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