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Partnerships Tax-Free Transfers

Rivkin Radler LLP

Some Observations On Recent Conversions of Partnerships to “C” Corporations

Rivkin Radler LLP on

Decisions- It is often the case that the optimal form of legal entity through which a business should operate, at least for income tax purposes, will depend in part upon the stage of its life cycle in which the business...more

Farrell Fritz, P.C.

When A “Tax Free” Exchange May Not Be Free of Tax

Farrell Fritz, P.C. on

“Tax free” – two words that often bring great delight when they are spoken by a tax adviser to the owner of a business, whether he is considering the disposition of a single asset, or of substantially all of the assets, of...more

Goulston & Storrs PC

New Restrictions on Transferring Appreciated Property to Partnerships With Related Foreign Partners

Goulston & Storrs PC on

The IRS issued Notice 2015-54 stating that it plans to issue regulations under Section 721(c) to ensure that U.S. taxpayers do not use partnerships to shift built-in gains to non-U.S. affiliates. In 1997 Congress authorized...more

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