Partnerships play an increasingly vital role in the federal income tax. Yet partnership taxation is deeply flawed, with complicated provisions that strain the voluntary compliance mechanism on which all federal income tax relies. This Article considers one of the most difficult challenges facing partnership taxation: the treatment of distributions. Distributions are ubiquitous transactions that transfer cash or property from a partnership to a partner. Although distributions vary dramatically in their purpose and the kind of property involved, their tax treatment follows a unitary approach. The principle of “nonrecognition” means that distributions do not produce any immediate tax consequences. This nonrecognition premise has caused great a...
In this article, Professor Lee charts two alternative methods for implementing an aggregate solution...
Partnership law allows partners great freedom to vary the terms on which they share partnership prof...
Optional basis adjustments under Subchapter K have come under increased scrutiny as a result of tax ...
Partnerships play an increasingly vital role in the federal income tax. Yet partnership taxation is ...
There is a growing awareness that federal tax law caters to a small number of wealthy and well-advis...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
When a partner sells a partnership interest, the resulting gain or loss is treated as capital gain o...
A partnership pays no federal income tax. Instead, its income, deductions, and credits are allocated...
This Article highlights a flaw in the existing rules regarding partnership tax allocations that has ...
As part of the Internal Revenue Code of 1954 Congress enacted section 736. This section specifies th...
This article discusses Section 704 of the Internal Revenue Code and the 1984 proposed regulations r...
Section 751(b), reputedly one of the most widely ignored provisions of Subchapter K of the Internal ...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
This article discusses the congressional directive of the Tax Reform Act of 1984 in which Congress d...
Constructive cash distributions to partners with possible concomitant severe tax impact can occur wh...
In this article, Professor Lee charts two alternative methods for implementing an aggregate solution...
Partnership law allows partners great freedom to vary the terms on which they share partnership prof...
Optional basis adjustments under Subchapter K have come under increased scrutiny as a result of tax ...
Partnerships play an increasingly vital role in the federal income tax. Yet partnership taxation is ...
There is a growing awareness that federal tax law caters to a small number of wealthy and well-advis...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
When a partner sells a partnership interest, the resulting gain or loss is treated as capital gain o...
A partnership pays no federal income tax. Instead, its income, deductions, and credits are allocated...
This Article highlights a flaw in the existing rules regarding partnership tax allocations that has ...
As part of the Internal Revenue Code of 1954 Congress enacted section 736. This section specifies th...
This article discusses Section 704 of the Internal Revenue Code and the 1984 proposed regulations r...
Section 751(b), reputedly one of the most widely ignored provisions of Subchapter K of the Internal ...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
This article discusses the congressional directive of the Tax Reform Act of 1984 in which Congress d...
Constructive cash distributions to partners with possible concomitant severe tax impact can occur wh...
In this article, Professor Lee charts two alternative methods for implementing an aggregate solution...
Partnership law allows partners great freedom to vary the terms on which they share partnership prof...
Optional basis adjustments under Subchapter K have come under increased scrutiny as a result of tax ...