by Richard Lipton
|Hardcover: ||494 pages|
|Publisher:||LEXISNEXIS (Aug 17, 2012)|
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book contains a thorough discussion of the rules of partnership taxation - when a partnership exists, the tax treatment of contributions to a partnership, the basis of partnership assets and interests in a partnership, how income is allocated to the partners, the tax treatment of distributions, the consequences of partnership liabilities, partnership mergers, the retirement of a partner and dissolution of the partnership. There is also significant attention paid to the numerous ""anti-abuse"" rules that have been adopted by Congress and the IRS over the past several decades, including the disguised sale rules, the treatment of ""mixing-bowl"" transactions, the complex rules to prevent basis abuse, and the overriding ""partnership anti-abuse regulations"" adopted by the IRS. In addition, this book explores one of the fundamental questions that always arises in partnership taxation: Is a partnership to be treated as a separate taxable entity or an aggregate of its partners? The tension between entity and aggregate treatment of a partnership is one of the recurring issues in determining the tax consequences of partnership transactions. In addition to bringing the book up-to-date with the latest tax law changes and expansion of several chapters, the Third Edition contains new chapters on family partnerships, the death of a partner, and S corporations. It provides an extended discussion of allocation methods that do not have substantial economic effect, but are designed to be in accordance with the partners interests in the partnership; series LLCs and their recently proposed regulations are also discussed in detail. The text is now suitable for both a ""basic"" partnership tax course (if partnership tax can ever be thought of as basic), as well as an ""advanced"" partnership tax course. The Teachers Manual provides suggested syllabi for both courses..
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