December 17, 2024 | New York Law Journal
Treasury Issues New Regulations on Allocation of Partnership LiabilitiesOn Dec. 2, 2024, the Treasury Department issued final regulations providing more detail on how a partnership’s recourse liabilities must be allocated and in some cases changing the result under existing regulations.The new regulations provide more clarity in situations regarding partnership recourse liabilities than prior law.
By Ezra Dyckman and Charles S. Nelson
6 minute read
October 22, 2024 | New York Law Journal
IRS Issues Regulations on Conservation Easement ReportingIn December 2022, the IRS issued proposed regulations designating certain syndicated conservation easements as listed transactions. In their financing column, Ezra Dyckman and Charles Nelson offer their thoughts on how the regulations, finalized by the IRS on Oct. 8, 2024, "seem to go beyond congressional intent and create the added confusion of having two similar but not identical sets of rules."
By Ezra Dyckman and Charles S. Nelson
5 minute read
August 27, 2024 | New York Law Journal
IRS Targets Related-Party Basis ShiftingOn June 17, 2024, the IRS released Notice 2024-54, which states that the IRS and the Treasury Department intend to issue proposed regulations relating to partnership basis adjustments resulting from transactions between related parties. The proposed regulations would introduce massive additional complexity to an area of the tax law that is already complicated.
By Ezra Dyckman and Charles S. Nelson
6 minute read
April 23, 2024 | New York Law Journal
An Uncharitable Regulation: Tax Court Invalidates Conservation Easement RegulationIn their Financing column, Ezra Dyckman and Charles Nelson discuss the recent Tax Court case, Valley Park Ranch, LLC v. Commissioner, which "is significant because it illustrates the Tax Court's willingness to invalidate a longstanding regulation based on procedural flaws that occurred almost 40 years ago."
By Ezra Dyckman and Charles S. Nelson
5 minute read
February 27, 2024 | New York Law Journal
Tax Court Order Raises Substance-Over-Form QuestionsWhether an LLC is treated as a partnership or a disregarded entity for federal income tax purposes can sometimes have a significant effect on the tax consequences of a transaction. A recent order issued by the Tax Court in Joint Star Properties, LLC v. Commissioner illustrates the sorts of issues that can arise.
By Ezra Dyckman and Charles S. Nelson
6 minute read
December 26, 2023 | New York Law Journal
Here Comes the Sun: New Solar Tax Credit Rules Benefit Rental Property OwnersEzra Dyckman and Charles Nelson discuss the Inflation Reduction Act, which has expanded the scope of green energy tax credits, and also proposed regulations by the Treasury Department that have the potential to allow even taxpayers with no income tax liability to more easily monetize some of these tax credits.
By Ezra Dyckman and Charles S. Nelson
5 minute read
October 24, 2023 | New York Law Journal
Tax Court Addresses Real Estate Interest DeductionsThe federal income tax treatment of interest deductions is often complex and unintuitive. A recent Tax Court case, Cardulla v. Commissioner, addressed a number of issues that may be relevant for taxpayers with interest expense on debt attributable to real estate activities.
By Ezra Dyckman and Charles S. Nelson
6 minute read
August 22, 2023 | New York Law Journal
The Importance of Character: Tax Court Addresses Cancellation of Nonrecourse DebtThe distinction between COD income and gain on the sale of property was at issue in a recent Tax Court case, Parker v. Commissioner, discussed here.
By Ezra Dyckman and Charles S. Nelson
4 minute read
June 27, 2023 | New York Law Journal
No Sweat (Equity): Tax Court Addresses Partnership Profits InterestsIn their Real Estate Financing column, Ezra Dyckman and Charles Nelson discuss the recent case, 'ES NPA Holding, LLC v. Commissioner,' where the Tax Court interpreted Revenue Procedure 93-27 favorably. The case showed that taxpayers receiving partnership profits interests should be careful to ensure that they have satisfied all requirements of the revenue procedure.
By Ezra Dyckman and Charles S. Nelson
5 minute read
April 25, 2023 | New York Law Journal
Protecting the Environmental Protectors: New Guidance on Conservation EasementsThe enactment of the new conservation easement law adds further restrictions to an area of the tax law that was already rife with potential pitfalls. But on the positive side, the new IRS safe harbor language provides some taxpayers who may have deficient conservation easements with a unique but short-lived opportunity to correct those mistakes.
By Ezra Dyckman and Charles S. Nelson
5 minute read
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