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Issue Number: ???Revenue Ruling 2024-14Inside This IssueRevenue Ruling 2024-14 advises taxpayers of the Service?s position challenging certain partnership related-party transactions under the codified economic substance doctrine in ? 7701(o).? Under the ruling, the Service applies the economic substance doctrine in three situations involving related parties where some or all of whom are partners in a partnership, and the parties: (1) create basis disparities through various methods; (2) capitalize on these basis disparities either by transferring a partnership interest in a nonrecognition transaction or by making a current or liquidating distribution of partnership property to a partner; and (3) claim a basis adjustment under ?? 732(b), 734(b), or 743(b).? The ruling holds that these transaction structures lack economic substance under ? 7701(o).? In such cases, the Service will disregard the basis adjustments. Revenue Ruling 2024-14 will be published in Internal Revenue Bulletin 2024-28 on July 8, 2024 ? Thank you for subscribing to IRS GuideWire, an IRS e-mail service. If you are a Tax Professional and have a specific concern about your tax situation, call the IRS Practitioner Priority Service 1-866-860-4259. This message was distributed automatically from the IRS GuideWire mailing list. Please Do Not Reply To This Message. |
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