× Course by Subject Webinars Self-Study eBooks Certificates Compliance Manager Subscriptions Firm CPE Blog CCHCPELink.com

Reporting Partnership Targeted Tax Allocations (Currently Unavailable)

Author: James R. Hamill

CPE Credit:  2 hours for CPAs
2 hours Federal Tax Related for EAs and OTRPs
2 hours Federal Tax Law for CTEC

Partnerships allow partners to reach an agreement with respect to the allocation of items of income, gain, deduction, and loss — provided the agreement has substantial economic effect. Regulations finalized in 1985, at the height of the tax shelter days, provide several “safe harbors” to the structure of allocations that comply with the economic effect test. These regulations require that the partnership liquidate based on capital accounts and have largely driven the form of most partnership agreements.

After the passive loss rules eliminated the classic tax shelter arrangement, many advisors looked for alternative structures that focused on how partners would distribute money and property, and then use the distribution arrangement to determine allocations of partnership items. These arrangements are often called “targeted” allocations as they use allocations to hit a target capital account. The agreement itself does not prescribe a particular allocation scheme, but instead forces the tax return preparer to make allocations that tie capital to the agreed-to distribution scheme.

Join nationally recognized tax practitioner, instructor and commentator James Hamill, CPA, Ph.D., for this two-hour CPE course that provides a practical review of how to make partnership allocations based on a targeted allocation agreement. This program makes liberal use of specific examples to illustrate the “how to” of targeted allocations.

Publication Date: August 2019

Designed For
CPAs, EAs, tax preparers and other tax professionals with responsibility for partnership tax return compliance.

Topics Covered

  • "Old" Approach — Rely on the safe harbor approach of the Section 704 regulations
  • Required language
  • "Layer cake" allocations when final return is filed
  • "New" Approach Targeted allocations
  • Difference in language
  • Attorney covers distributions, preparer covers allocations
  • Illustrations of "how to" make targeted allocations with (12) specific examples

Learning Objectives

  • Recognize and apply essential aspects partnership targeted allocations
  • Identify how to properly make partnership allocations based on a targeted allocation agreement
  • Recognize how to help clients understand how targeted allocations will affect their tax returns
  • Identify the goal of drafting safe-harbor allocations
  • Identify true statements with regard to substantial effect under the safe- harbor rules
  • Describe when a partnership allocation generally satisfies the basic test for economic effect
  • Recognize when a test is often referred to as the "dumb, but lucky, rule"
  • Recognize correct statements regarding the minimum gain chargeback provision
  • Calculate a partnership's Section 704(b) total capital
  • Recognize what forced allocation is referred to
  • Identify when nonrecourse deductions are allocable
  • Recognize when an allocation has substantial economic effect

Level
Intermediate

Instructional Method
Self-Study

NASBA Field of Study
Taxes (2 hours)

Program Prerequisites
Experience with partnership tax returns.

Advance Preparation
None

">
 Chat — Books Support