Internal Revenue Service June 18, 2024 – Federal Register Recent Federal Regulation Documents
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Certain Partnership Related-Party Basis Adjustment Transactions as Transactions of Interest
This document contains proposed regulations that would identify certain partnership related-party basis adjustment transactions and substantially similar transactions as transactions of interest, a type of reportable transaction. Material advisors and certain participants in these transactions would be required to file disclosures with the IRS and would be subject to penalties for failure to disclose. The proposed regulations would affect participants in these transactions as well as material advisors. This document also provides a notice of a public hearing on the proposed regulations.
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