07 Jan 2025
New Year Insights: Navigating Changes in Partnerships and LLCs Interests
As we step into the new year, it's a great time to reflect on any changes in partnership interests that took place in 2024. The sale or exchange of a partnership interest is only one way in which partnership interests can change. For example, if a partner, such as an attorney in a law firm, leaves their partnership, either the partner can sell their interest back to the partnership or the partnership can liquidate that partner's interest. The tax treatment of these methods can vary for both the selling and remaining partners. It's essential to review these transactions to ensure compliance and optimize tax outcomes. Additionally, stay informed about any new regulations or tax laws that could affect partnership structures, and plan accordingly for a successful year ahead.
Related Content
- Advanced Taxation Issues for Partnerships and LLCs
Review the unique tax factors that make partnership and limited liability company (LLC) business entities especially desirable in conducting business, pooling investments, and planning for succession. These factors include: (1) a single level of taxation, with the partners being taxed, not the partnership itself; (2) the ability to allocate separately to its partners or LLC members, within limits, the items of income, gain, loss, deduction, and credit; (3) contributions are generally tax-free; and (4) distributions are generally tax-free.
- Partnership and other Pass-through Entities Taxation Resource Kit
Refer to this resource kit for information pertaining to the taxation of pass-through business entities such as partnerships, LLCs, and S corporations. Before beginning business as a pass-through entity, you will want to start with a review of the advantages and disadvantages to doing business as such.
Practical Guidance Updates
Featuring the latest updates from your Practical Guidance account.
- Tax Key Legal Developments Tracker (Federal) (Current)—keep up to date with key legal developments!
- Business Entities. IRS and Treasury Department issue final regulations relating to recourse liabilities of a partnership and special rules for related persons and affecting partners and partnerships. Recourse Partnership Liabilities and Related Party Rules, T.D. 10014, 89 Fed. Reg. 95108 (Dec. 2, 2024).
- International Tax. IRS announces that the United States and Norway have entered into a Competent Authority Arrangement under paragraph 2 of Article 27 of the Convention between the United States and the Kingdom of Norway for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion. Announcement 2024-42; 2024-52 I.R.B. 1.
- International Tax. IRS and Treasury Department issue proposed regulations regarding previously taxed earnings and profits of foreign corporations and related basis adjustments and affecting foreign corporations with previously taxed earnings and profits and their shareholders. Previously Taxed Earnings and Profits and Related Basis Adjustments, 89 Fed. Reg. 95362 (Dec. 2, 2024).
- Inflation Reduction Act: Tax Provisions Tracker—keep up to date with key legal developments regarding the Inflation Reduction Act of 2022.
- Document alerts allow you to stay current on legal developments that affect your practice. Find out how to set up your document alerts.
- Review the Chevron Reversal Impact Resource Kit for analysis related to the Supreme Court’s decision to overturn four decades of deference to federal agency interpretations of ambiguous statutes.
- New! Discover Practical Guidance Content and Resources
Review this informative guide featuring some of the recent content additions to Practical Guidance, designed to help you find the tools and insights you need to work more efficiently and effectively.
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