IRS Extends Disclosure Deadline for Newly “Listed” Syndicated Conservation Easement Deals
At the close of 2016, the IRS’ contempt for syndicated conservation easement deals reached its peak with the IRS identifying such transactions as “listed transactions.” See prior MC Talks Tax blog post here. By...
Last year IRS Chief Counsel declared that a “partnership is not a corporation” and that the “wage and reasonable compensation rules which are applicable to corporations…do not apply.” Therefore once a partner is no...
The IRS is stacking-up victories in its attack against compensation arrangements of closely-held business, with C corporations, S corporations, and partnerships all potentially facing an IRS challenge. Now is the time to...
An Issue for Real Estate Developers and Their Tax Advisors to Keep An Eye On
On April 10, 2017, the IRS Chief Counsel’s Office issued an Action on Decision (AOD 2017-3) (here) refusing to acquiesce to the Tax Court’s and 9th Circuit’s decisions in Shea Homes Inc. v. Commissioner, 834 F.3d...