Discussion:Sale of partnership interest - Ordinary loss under Sec 751
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| Revision as of 18:32, 10 December 2008 RoyDaleOne (Talk | contribs) ← Previous diff |
Revision as of 19:01, 10 December 2008 PVVCPA (Talk | contribs) (The partner has) Next diff → |
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| + | {{ForumReplyPost|UserID=PVVCPA|Date=December 10, 2008|Text=The partner has a loss by way of selling their interest for a $1 while their basis in their partnership interest is say $50,000. | ||
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| + | Yes. The LLC's loss is the non-recourse financing indebtedness less the basis in the building. Or in other words, the LLC's loss is equal to the sum of the LLC's member's capital balances. Therefore, each member has a loss equal to their capital balance.}} | ||
Revision as of 19:01, 10 December 2008
Discussion Forum Index --> Advanced Tax Questions --> Sale of partnership interest - Ordinary loss under Sec 751
Discussion Forum Index --> Tax Questions --> Sale of partnership interest - Ordinary loss under Sec 751
| December 10, 2008 | |
| LLC taxed as partnership organized for the sole purpose of developing commercial building for resale. Therefore, income from sale of building would be taxed as ordinary. Due to current economy, the building is now worth less than the construction loan and less than the LLC's basis in the land and construction costs. LLC is currently in discussions with bank, resolution (foreclosure) will not occur until 2009.
Some members of LLC wish to recognize loss in 2008, by selling their interest for $1 to managing-member. Would the underlying assets of LLC be considered hot assets (inventory) thereby requiring the collapsible partnership provisions of Section 751(b)? And therefore, would the selling partners be allowed an ordinary loss for the sale of their partnership interest? | |
RoyDaleOne (talk|edits) said: | 10 December 2008 |
| Tell me a again, how you are going to generate a loss?
Is Qualified Real Property Business Indebtedness a factor? | |
| December 10, 2008 | |
| The partner has a loss by way of selling their interest for a $1 while their basis in their partnership interest is say $50,000.
Yes. The LLC's loss is the non-recourse financing indebtedness less the basis in the building. Or in other words, the LLC's loss is equal to the sum of the LLC's member's capital balances. Therefore, each member has a loss equal to their capital balance. | |


