A mutual insurance company is owned by its policyholders and has no stock.
                     When an insurance company demutualizes, a policyholder's ownership interest
                     in the mutual company may be exchanged for shares in a stock life insurance
                     company and/or cash. The exchange does not cause the policies to change, except
                     for the name of the issuing company. The policyholder's basis in the policy
                     stays the same.
                  The treatment of the demutualization depends on whether it is a tax-free
                     reorganization under Internal Revenue Code section 368(a)(1). Information
                     on whether the reorganization qualifies under section 368(a)(1) may be obtained
                     from the (former) mutual company.
                  If the demutualization qualifies as a tax-free reorganization and you elected
                     to receive stock, you will not recognizeany gain or loss on the reciept of
                     the stock.
                  Note: You may be taxed on the gain or loss from stock when you sell or
                     otherwise dispose of it at a later date. When you sell or otherwise dispose
                     of the stock your basis in it is zero and your holding period is treated as
                     beginning on the date you purchased the insurance policy.
                  If you elected to receive cash instead of stock in the tax-free reorganization,
                     you are deemed to have received shares and then to have sold them back to
                     the corporation (i.e., redeemed your shares). Generally this results in capital
                     gain or loss reportable on Form 1040, Schedule D (PDF), Capital
                           Gains and Losses. If you owned the policy for more than one year as of
                     the date of the demutualization, the gain or loss is treated as long-term
                     capital gain or loss. If you owned the policy for a year or less, the gain
                     or loss is short-term capital gain or loss. Refer to Internal Revenue Code
                     section 1223(1).
                   Refer to Revenue Ruling 71–233, 74–227, and 2003–19
                     regarding the Federal income tax consequence of a demutualization qualifying
                     as a reorganization under section 368(a)(1).
                  If the demutualization does not qualify as a tax-free reorganization, you
                     must recognize a capital gain or loss on the receipt of either cash or stock.
                     If you elected to receive stock, your gain or loss is the difference between
                     your zero basis in your mutual ownership interest and the fair market value
                     of the stock, when you receive it. Your basis in the stock is the fair market
                     value when you receive it. Your holding period for the stock begins when you
                     receive it and does not include the period you owned your policy.
                  For more information, refer to Publication 550, Investment Income
                           and Expenses.
                  Copies of Revenue Rulings are available in one of the local Federal Depositary
                     Libraries in your community. To find the library nearest to you, visit the
                     Governmental Printing Office Locate Federal Depository Libraries website at: www.gpoaccess.gov/libraries.html.