This Article will address tax law’s inconsistent treatment of gains and losses—focusing in particular on certain instances in which a taxpayer is prevented from shifting a built-in loss to another taxpayer but would be allowed to shift a built-in gain to another taxpayer. The article will explore whether any legitimate justification can explain the inconsistency. Finding no such legitimate justification for at least some of the examples, this Article will conclude that lawmakers ought to have also addressed gains and the failure to do so results from lawmakers crafting an overly narrow response that addressed only the most recent, high-profile gimmick in engineering transactions to reduce tax liability
(Excerpt) This Article focuses on some of these problems in the field of federal income tax. It sugg...
This Article examines the judicially sanctioned bifurcation of real estate developers’ gain. The Art...
When a partner sells a partnership interest, the resulting gain or loss is treated as capital gain o...
This Article will address tax law\u27s inconsistent treatment of gains and losses-focusing in partic...
This Article will address tax law’s inconsistent treatment of gains and losses—focusing in particula...
The government often uses narrow tax reforms to target specific planning strategies. Sometimes the t...
Business losses are a persistent reality and far from an insignificant economic phenomenon. They are...
The U.S. tax system, like most in the world, benefits capital gains in two ways. Investors can defer...
This article discusses three income tax rules that can cause partners to recognize gain for federal ...
Loss limitations are an ugly but inevitable feature of any realization-based income tax. In essence,...
We recently published an article demonstrating that the current tax treatment of carried interests, ...
Ownership is one of the most fundamental concepts in tax law, yet it is remarkably confused. The unc...
Unwinding is a common, if not ubiquitous, feature of tax practice. In a successful unwind, parties ...
Coven asserts that one of the lingering ambiguities in subchapter C is how an appropriate tax benefi...
This article examines problems inherent in the current loss limitation system, arguing that it is il...
(Excerpt) This Article focuses on some of these problems in the field of federal income tax. It sugg...
This Article examines the judicially sanctioned bifurcation of real estate developers’ gain. The Art...
When a partner sells a partnership interest, the resulting gain or loss is treated as capital gain o...
This Article will address tax law\u27s inconsistent treatment of gains and losses-focusing in partic...
This Article will address tax law’s inconsistent treatment of gains and losses—focusing in particula...
The government often uses narrow tax reforms to target specific planning strategies. Sometimes the t...
Business losses are a persistent reality and far from an insignificant economic phenomenon. They are...
The U.S. tax system, like most in the world, benefits capital gains in two ways. Investors can defer...
This article discusses three income tax rules that can cause partners to recognize gain for federal ...
Loss limitations are an ugly but inevitable feature of any realization-based income tax. In essence,...
We recently published an article demonstrating that the current tax treatment of carried interests, ...
Ownership is one of the most fundamental concepts in tax law, yet it is remarkably confused. The unc...
Unwinding is a common, if not ubiquitous, feature of tax practice. In a successful unwind, parties ...
Coven asserts that one of the lingering ambiguities in subchapter C is how an appropriate tax benefi...
This article examines problems inherent in the current loss limitation system, arguing that it is il...
(Excerpt) This Article focuses on some of these problems in the field of federal income tax. It sugg...
This Article examines the judicially sanctioned bifurcation of real estate developers’ gain. The Art...
When a partner sells a partnership interest, the resulting gain or loss is treated as capital gain o...