BusinessPostCorner.com
No Result
View All Result
Monday, June 30, 2025
  • Home
  • Business
  • Finance
  • Accounting
  • Tax
  • Management
  • Marketing
  • Crypto News
  • Human Resources
BusinessPostCorner.com
  • Home
  • Business
  • Finance
  • Accounting
  • Tax
  • Management
  • Marketing
  • Crypto News
  • Human Resources
No Result
View All Result
BusinessPostCorner.com
No Result
View All Result

New IRS regs put some partnership transactions under spotlight

January 10, 2025
in Accounting
Reading Time: 3 mins read
A A
0
New IRS regs put some partnership transactions under spotlight
ShareShareShareShareShare

Final regulations now identify certain partnership related-party “basis shifting” transactions as “transactions of interest” subject to the rules for reportable transactions.

The final regs apply to related partners and partnerships that participated in the identified transactions through distributions of partnership property or the transfer of an interest in the partnership by a related partner to a related transferee. Affected taxpayers and their material advisors are subject to the disclosure requirements for reportable transactions. 

During the proposal process, the Treasury and the Internal Revenue Service received comments that the final regulations should avoid unnecessary burdens for small, family-run businesses, limit retroactive reporting, provide more time for reporting and differentiate publicly traded partnerships, among other suggested changes now reflected in the regs.

  • Increased dollar threshold for basis increase in a TOI. The threshold amount for a basis increase in a TOI has increased from $5 million to $25 million for tax years before 2025 and $10 million for tax years after 2025. 
  • Limited retroactive reporting for open tax years. Reporting has been limited for open tax years to those falling within a six-year lookback window. The six-year lookback is the 72-month period before the first month of a taxpayer’s most recent tax year that began before the publication of the final regulations (slated for Jan. 14 in the Federal Register). Also, the threshold amount for a basis increase in a TOI during the six-year lookback is $25 million. 
  • Additional time for reporting. Taxpayers have an additional 90 days from the final regulation’s publication to file disclosure statements for TOIs in open tax years for which a return has already been filed and that fall within the six-year lookback. Material advisors have an additional 90 days to file their disclosure statements for tax statements made before the final regulations. 
  • Publicly traded partnerships. Because PTPs are typically owned by a large number of unrelated owners, the final regulations exclude many owners of PTPs from the disclosure rules. 

The identified transactions generally result from either a tax-free distribution of partnership property to a partner that is related to one or more partners of the partnership, or the tax-free transfer of a partnership interest by a related partner to a related transferee.

Bloomberg via Getty Images

The tax-free distribution or transfer generates an increase to the basis of the distributed property or partnership property of $10 million or more ($25 million or more in the case of a TOI undertaken in a tax year before 2025) under the rules of IRC Sections 732(b) or (d), 734(b) or 743(b), but for which no corresponding tax is paid. 

The basis increase to the distributed or partnership property allows the related parties to decrease taxable income through increased cost recovery allowances or decrease taxable gain (or increase taxable loss) on the disposition of the property.

Credit: Source link

ShareTweetSendPinShare
Previous Post

Treasury, IRS propose rules on commercial clean vehicles, issue guidance on clean fuels

Next Post

American Airlines’ use of ‘ESG activist’ BlackRock failed workers, US judge says

Next Post
American Airlines’ use of ‘ESG activist’ BlackRock failed workers, US judge says

American Airlines’ use of ‘ESG activist’ BlackRock failed workers, US judge says

Republican move to mask .8 trillion tax-cut cost rings alarms

Republican move to mask $3.8 trillion tax-cut cost rings alarms

June 24, 2025
Baker Tilly and Moss Adams: M&A to get better, not bigger

Baker Tilly and Moss Adams: M&A to get better, not bigger

June 23, 2025
Canada scraps tech tax to advance trade talks with Donald Trump

Canada scraps tech tax to advance trade talks with Donald Trump

June 30, 2025
Why the chief people officer of Chili’s spends 40% of her time on-site at the restaurant chain

Why the chief people officer of Chili’s spends 40% of her time on-site at the restaurant chain

June 27, 2025
Google advertising exec oversees rapid change

Google advertising exec oversees rapid change

June 23, 2025
Quantum Black Swan: How a 2026 Quantum-Computing Breakthrough Could Upend Crypto (and Which Coins Might Survive)

Quantum Black Swan: How a 2026 Quantum-Computing Breakthrough Could Upend Crypto (and Which Coins Might Survive)

June 29, 2025
BusinessPostCorner.com

BusinessPostCorner.com is an online news portal that aims to share the latest news about following topics: Accounting, Tax, Business, Finance, Crypto, Management, Human resources and Marketing. Feel free to get in touch with us!

Recent News

Spanish Cafe Chain Vanadi Coffee Board Approves .17B Bitcoin Investment Plan, Adds 20 BTC

Spanish Cafe Chain Vanadi Coffee Board Approves $1.17B Bitcoin Investment Plan, Adds 20 BTC

June 30, 2025
Canada scraps tech tax to advance trade talks with Donald Trump

Canada scraps tech tax to advance trade talks with Donald Trump

June 30, 2025

Our Newsletter!

Loading
  • Contact Us
  • Privacy Policy
  • Terms of Use
  • DMCA

© 2023 businesspostcorner.com - All Rights Reserved!

No Result
View All Result
  • Home
  • Business
  • Finance
  • Accounting
  • Tax
  • Management
  • Marketing
  • Crypto News
  • Human Resources

© 2023 businesspostcorner.com - All Rights Reserved!