In 1982, Congress authorized a “small partnership” exception to the definition of “partnership” in legislation designed to tighten the rules on partnership audits.1 Tax shelters were dominating the discussion in tax circles and the 1982 legislation was aimed at bolstering the oversight over partnership transactions, much of which was being carried on by limited partnerships. However, the small partnership exception, by its terms, provides an avenue for many small partnerships (including limited liability companies and limited liability partnerships) to sidestep the complexity of federal partnership tax law
Joint ventures involving taxable and tax-exempt organizations, referred to in this article as taxab...
I. Introduction II. Five Typical Situations … A. Situation 1: Formation of a Partnership—the Establi...
Three recent Tax Court cases have provided significant insights into the treatment of family limited...
The “small partnership” exception,1 which is found in an obscure part of the Internal Revenue Code2 ...
The “small partnership” exception, as it is termed, one of the greatest moves toward simplification ...
In an unbelievably sneaky fashion, a group of unhappy tax practitioners in late 2015 managed to pull...
The “small partnership” exception, enacted in 1982 as part of TEFRA,1 has been criticized in the pas...
In what must rank as the most outrageous move by Congress in modern times, the Senate and House of R...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
For some time, the incorporation of partnerships has been governed largely by Rev. Proc. 84-1111 whi...
This Article highlights a flaw in the existing rules regarding partnership tax allocations that has ...
The Tax Reform Act of 1976 is the culmination of more than two years of work by both houses of Congr...
There is a growing awareness that federal tax law caters to a small number of wealthy and well-advis...
After a shocking and unannounced repeal of the “small partnership” provision in late 2015, as part o...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
Joint ventures involving taxable and tax-exempt organizations, referred to in this article as taxab...
I. Introduction II. Five Typical Situations … A. Situation 1: Formation of a Partnership—the Establi...
Three recent Tax Court cases have provided significant insights into the treatment of family limited...
The “small partnership” exception,1 which is found in an obscure part of the Internal Revenue Code2 ...
The “small partnership” exception, as it is termed, one of the greatest moves toward simplification ...
In an unbelievably sneaky fashion, a group of unhappy tax practitioners in late 2015 managed to pull...
The “small partnership” exception, enacted in 1982 as part of TEFRA,1 has been criticized in the pas...
In what must rank as the most outrageous move by Congress in modern times, the Senate and House of R...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
For some time, the incorporation of partnerships has been governed largely by Rev. Proc. 84-1111 whi...
This Article highlights a flaw in the existing rules regarding partnership tax allocations that has ...
The Tax Reform Act of 1976 is the culmination of more than two years of work by both houses of Congr...
There is a growing awareness that federal tax law caters to a small number of wealthy and well-advis...
After a shocking and unannounced repeal of the “small partnership” provision in late 2015, as part o...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
Joint ventures involving taxable and tax-exempt organizations, referred to in this article as taxab...
I. Introduction II. Five Typical Situations … A. Situation 1: Formation of a Partnership—the Establi...
Three recent Tax Court cases have provided significant insights into the treatment of family limited...