Chapter 10 Dispositions of Partnership Interests and Partnership Distributions Copyright © 2013 by The McGraw-Hill Companies, Inc. All rights reserved.

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Chapter 10 Dispositions of Partnership Interests and Partnership Distributions Copyright © 2013 by The McGraw-Hill Companies, Inc. All rights reserved. McGraw-Hill/Irwin

10-2 Learning Objectives 1. Determine the tax consequences to the buyer and seller of the disposition of a partnership interest, including the amount and character of gain or loss recognized 2. List the reasons for distributions, and compare operating and liquidating distributions 3. Determine the tax consequences of proportionate operating distributions 4. Determine the tax consequences of proportionate liquidating distributions 5. Explain the significance of disproportionate distributions 6. Explain the rationale for special basis adjustments, determine when they are necessary, and calculate the special basis adjustment for dispositions and distributions

10-3 Basics of Sales of Partnership Interests Raises unique issues because of the flow- through nature of the entity If tax rules follow an entity approach, the interest is considered a separate asset and sale of partnership interest would be very similar to the sale of corporate stock If tax rules use the aggregate approach, the disposition represents a sale of the partner’s share of each of the partnership’s assets

10-4 Basics of Sales of Partnership Interests Seller Issues Primary tax concern is calculating the amount and character of gain or loss on the sale Selling partner determines gain or loss as the difference between the amount realized and his/her outside basis in partnership Hot Assets Buyer and Partnership Issues Varying Interest Rule

10-5 Operating Distributions Are usually paid to distribute the business profits to the partners but can also reduce a partner’s ownership Operating Distributions of Money Only Operating Distributions That Include Property Other Than Money Carryover basis Order in which to allocate outside basis to the bases of distributed assets

10-6 Operating Distributions First, the partner allocates the outside basis to any money received and then to other property as a carryover basis Remainder is the partner’s outside basis after the distribution Tax issues are basically: to determine whether the terminating partner recognizes gain or loss and to reallocate his or her entire outside basis to the distributed assets

10-7 Liquidating Distributions There would be no gain or loss on the distribution, and the asset bases would be the same in the partner’s hands as they were inside the partnership Rules are designed to determine when gain or loss must be recognized and to allocate the partner’s outside basis to the distributed assets Gain or Loss Recognition in Liquidating Distributions Basis in Distributed Property

10-8 Liquidating Distributions

10-9 Liquidating Distributions Partner’s Outside Basis Is Greater Than Inside Basis of Distributed Assets Scenario 1: Distributions of money, inventory, and /or unrealized receivables Scenario 2: Other property included in distributions Partner’s Outside Basis Is Less Than Inside Basis of Distributed Assets Scenario 3: Distributions of money only

10-10 Liquidating Distributions Scenario 4: Distributions of money, inventory, and /or unrealized receivables Scenario 5: Other property included in distributions Character and Holding Period of Distributed Assets

10-11 Disproportionate Distributions Both operating and liquidating distributions can be disproportionate distributions When distribution changes a partner’s relative ownership of partnership hot assets To prevent partners from converting ordinary income into capital gains through distributions Partner must treat distribution as a sale or exchange, which results in recognition of gain (or loss)

10-12 Special Basis Adjustments Helps to eliminate discrepancies between the inside and outside bases and correct the artificial income or loss at the partnership level Basis discrepancies arise in two situations: Following sales of partnership interests, and Following distributions where a partner receives more than his/her share of the inside basis in the partnership property and the partner recognizes a gain or loss on the distribution

10-13 Special Basis Adjustments When? Elective with a §754 election in effect and When a new investor purchases a partnership interest, or When a partner recognizes a gain or loss in a distribution, or When a partner takes a basis in distributed property that differs from the partnership basis in the property

10-14 Special Basis Adjustments Mandatory When a partner sells a partnership interest and the partnership has a substantial built-in loss at the time of sale, or When a partnership has a substantial basis reduction from a distribution Why? To prevent partners from being temporarily overtaxed or under taxed after acquiring a partnership interest or a distribution

10-15 Special Basis Adjustments