Redemptions of Partnership Interests: Sections 736(b) vs. 736(a), Installment Sales, Hot Assets, SALT Caps
Recording of a 110-minute CPE webinar with Q&A
This webinar will discuss redemptions of partnership interests for tax advisers working with partnerships and LLCs. Our authoritative panel will explain the tax effects of these dispositions on the partner, the remaining partners, and the partnership, including the application of ordinary versus capital gains tax rates, installment sales, and new considerations resulting from recent legislation and notable cases and rulings.
Outline
- Redeeming partnership interests
- IRC Sections 736(b) and 736(a)
- Goodwill
- Section 754 elections
- Impact of recent legislation
- Partnership audit rules
- State PTE taxation regimes
- Other
- Installment sales
- Section 751 property
- Notable cases and rulings
Benefits
The panel will cover these and other critical issues:
- Tax consequences of redemptions on the exiting partner and the partnership
- Calculating the tax on the redemption when the partnership holds hot assets
- Structuring redemptions to withstand IRS challenges
- Making a Section 754 election when a partner's interest is redeemed
- The effect of the new partnership audit regime on redemptions
Faculty
Lynn E. Fowler
Partner
Kilpatrick Townsend & Stockton
Mr. Fowler focuses his practice on corporate and business tax law. He specializes in helping clients develop and... | Read More
Mr. Fowler focuses his practice on corporate and business tax law. He specializes in helping clients develop and implement tax-efficient strategies for varied business formation, financing, operations, and disposition transactions. He has significant experience in advising clients to qualify for a variety of federal income tax credits. He has also been the lead tax advisor on numerous taxable and tax-free M&A transactions as well as a variety of other strategic corporate transactions.
CloseJoseph C. Mandarino
Partner
Smith Gambrell & Russell
Mr. Mandarino's practice focuses on corporate, tax and finance law. He is involved with a wide variety of... | Read More
Mr. Mandarino's practice focuses on corporate, tax and finance law. He is involved with a wide variety of businesses and transactions, including experience with compliance, planning and M&A activities for partnerships, individuals and corporations. Mr. Mandarino’s practice also includes representation in tax controversy work. He writes and speaks extensively on a wide range of business, tax and finance topics.
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