By: Amanda Wilson
For a discussion of the five things you need to know now about the new partnership audit rules, please read my recent article found here.
By: Amanda Wilson
For a discussion of the five things you need to know now about the new partnership audit rules, please read my recent article found here.
By: Amanda Wilson
The IRS recently released IRS legal memorandum 201606027. In this memorandum, the IRS considered the impact of a bad boy guarantee on allocating partnership liabilities under Section 752. Traditionally, bad boy guarantees have not been viewed as resulting in a partnership liability being allocated to the guarantor, as the guarantee obligation has been viewed as subject to contingencies that make it unlikely that the guarantee would ever come into play.
By: Amanda Wilson
The Foreign Investment in Real Property Tax Act (FIRPTA) subjects foreign sellers to U.S. tax when they sell their interest in real property located in the U.S., including interests in companies that predominately hold real estate. To accomplish this, the purchasers generally are required to withhold 10% of the gross sales price when the seller is foreign. Legislation that was passed at the end of last year (the PATH Act) increases this withholding rate from 10% to 15% effective as of February 16, 2016. If you are purchasing a U.S. real estate interest from a foreign seller, make sure you are aware of this change and adequately withhold. If you fail to do so, you may find yourself liable for the extra withholding.
BY: Amanda Wilson
The recently enacted PATH Act included several important changes to the REIT tax rules. A full discussion of these changes can be found here.
By: Amanda Wilson
A more detailed discussion of the impact of the new partnership audit rules can be found here.