It has become increasingly common for partnerships to issue options that give the holder the right to acquire an interest in the partnership for a set price. The holder of the option will exercise it if he feels that the partnership interest to be acquired is worth more than the exercise price. There is a dearth of authority on the federal tax treatment of option transactions, and the Service has recently asked for guidance from the tax bar as to what approach it should take. This article focuses on one piece of the partnership option puzzle, options to acquire partnership interests where the option is received in exchange for services (services option). While the term partnership is used through the article, the reader is asked to recall...
In May 2005 the Internal Revenue Service (IRS) and the Treasury Department issued proposed regulatio...
If a person receives property as payment for services, whether for past or future services, the rece...
In this article, Professor Lee charts two alternative methods for implementing an aggregate solution...
It has become increasingly common for partnerships to issue options that give the holder the right t...
It has become increasingly common for partnerships to issue options that give the holder the right t...
It has become increasingly common for partnerships to issue options that give the holder the right t...
It has become increasingly common for partnerships to issue options. There is a dearth of authority ...
It has become increasingly common for partnerships to issue options. There is a dearth of authority ...
It has become increasingly common for partnerships to issue options. There is a dearth of authority ...
It has become increasingly common for partnerships to issue options. There is a dearth of authority ...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
In 1954, Congress enacted the first comprehensive statutory treatment of partners and partnerships i...
In 1954, Congress enacted the first comprehensive statutory treatment of partners and partnerships i...
In May 2005 the Internal Revenue Service (IRS) and the Treasury Department issued proposed regulatio...
If a person receives property as payment for services, whether for past or future services, the rece...
In this article, Professor Lee charts two alternative methods for implementing an aggregate solution...
It has become increasingly common for partnerships to issue options that give the holder the right t...
It has become increasingly common for partnerships to issue options that give the holder the right t...
It has become increasingly common for partnerships to issue options that give the holder the right t...
It has become increasingly common for partnerships to issue options. There is a dearth of authority ...
It has become increasingly common for partnerships to issue options. There is a dearth of authority ...
It has become increasingly common for partnerships to issue options. There is a dearth of authority ...
It has become increasingly common for partnerships to issue options. There is a dearth of authority ...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
In 1954, Congress enacted the first comprehensive statutory treatment of partners and partnerships i...
In 1954, Congress enacted the first comprehensive statutory treatment of partners and partnerships i...
In May 2005 the Internal Revenue Service (IRS) and the Treasury Department issued proposed regulatio...
If a person receives property as payment for services, whether for past or future services, the rece...
In this article, Professor Lee charts two alternative methods for implementing an aggregate solution...