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Publicly Traded Partnerships

Publicly Traded Partnerships
Author: Matthew W. Lay
Publisher:
Total Pages:
Release:
Genre: Partnership
ISBN: 9781558719859

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" ... analyzes in depth the U.S. federal income taxation of publicly traded partnerships and their partners"--Portfolio description.


Redefining Qualifying Income for Publicly Traded Partnerships

Redefining Qualifying Income for Publicly Traded Partnerships
Author: Emily Cauble
Publisher:
Total Pages: 10
Release: 2014
Genre:
ISBN:

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In general, business entities are subject to the section 11 corporate tax if they are publicly traded. Corporate tax is justified under the rationale that entities will pay tax in exchange for access to an established market because liquidity has value. It allows owners of large enterprises to easily exit by selling their shares. Publicly traded partnerships can avoid being subject to corporate tax under current law if they earn primarily qualifying income. The best rationale for this exemption from corporate tax is that the partners could have access to the income of the publicly traded partnership by buying the assets of the partnership directly. Congress should redefine qualifying income to make the definition better fit that rationale by classifying income as qualifying only if it is earned by holding publicly traded stock or other publicly traded assets.


U.S. Taxation of Partnerships: Advanced Topics

U.S. Taxation of Partnerships: Advanced Topics
Author: Felix Lessambo
Publisher: Kluwer Law International B.V.
Total Pages: 146
Release: 2021-05-21
Genre: Law
ISBN: 9403533846

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As the number of businesses registered as partnerships continues to grow in the United States (U.S.)—there are now more than seven million—it is imperative for parties with business interests in the country to be fully informed of the challenges pertaining to this sui generis form of business and its intricate body of tax law. In an illustrative manner not covered by other books on the subject, this invaluable guide discusses, analyzes, dissects, and helps resolve issues arising in such contexts as accounting methods, anti-abuse rules, liabilities, dissolutions, mergers, and bankruptcy, with expert guidance on preparing partnership financial statements. With numerous boxed examples and references to important court cases, the author thoroughly describes such topics as the following: types of partnerships (LP, LLP, LLC, PTP); the two concepts of partnerships; partnership formation; transactions between partnership and partners; allocation of revenues among partners; the partnership taxable year; base erosion and anti-abuse tax (BEAT); centralized partnership audit regime; recourse and nonrecourse liabilities; and special tax rules for publicly traded partnerships (PTPs). Key abstract concepts are explained in a down-to-earth way, and all formal requirements—filing the partnership tax return (Form 1065), reporting, preparing for an audit, and so on—are clearly illustrated with examples. As the first book to describe the economics of partnerships in a concise and comprehensive manner, this book provides a reliable and authoritative overview of the complexities of U.S. partnership taxation and expounds the relevant rules in accessible language. It will be warmly welcomed by tax law practitioners, members of international and U.S. tax law associations, tax academics, and the international business communities with interests in the U.S.


Partnership Income Tax (Form 1065)

Partnership Income Tax (Form 1065)
Author: Brian Smith
Publisher: THE PUBLISHER
Total Pages: 85
Release: 2024-03-08
Genre: Business & Economics
ISBN:

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This book provides a comprehensive guide to understanding and navigating the complexities of Partnership Income Tax (Form 1065) for businesses. Covering various chapters, it begins by explaining the purpose and filing requirements of Form 1065, along with the associated deadlines and penalties. It then delves into partnership information, including identification details, business activity specifics, and partner information. The book further explores income, deductions, and tax credits for partnerships, detailing the various income categories, allowable deductions, and tax credits available. It also covers the allocations within a partnership, the preparation of Schedule K-1, and the distribution of income, deductions, and credits among partners. Understanding and reporting partners' capital accounts is the focus of another chapter, which includes the calculation of capital contributions, withdrawals, adjustments, and reporting specifics. The book also addresses special reporting issues such as foreign partnerships, publicly traded partnerships, and tax-exempt organizations as partners. Other important topics covered include tax payments, withholdings, required schedules and attachments, amending Form 1065, IRS audits and examinations, tax planning strategies for partnerships, state and local tax considerations, partnership termination and liquidation, and relevant IRS forms and publications. Throughout the book, the authors highlight common mistakes and provide tips to avoid them, ensuring accurate reporting and minimizing audit risks. Overall, this guide offers a comprehensive resource for partnership businesses to confidently navigate the intricacies of Partnership Income Tax (Form 1065). Disclaimer: I am not a licensed attorney or accountant, and the information provided in this book, "Partnership Income Tax (Form 1065)," is for educational and informational purposes only. The content contained herein is not intended to be, nor should be construed as, legal or financial advice. Readers are encouraged to seek the expertise of qualified professionals, such as certified public accountants (CPAs) or tax attorneys, to address their specific legal or financial concerns. The author does not assume any responsibility for errors, inaccuracies, or omissions in the information provided or for any actions taken in reliance on this information. Tax laws and regulations are subject to change, and the application of tax laws can vary based on individual circumstances. It is strongly recommended that readers consult with a qualified professional to obtain advice tailored to their specific situation. By reading this book, the reader acknowledges and agrees that the author is not liable for any loss, damage, or inconvenience arising from the use of or reliance upon the information contained herein, and the reader takes full responsibility for their decisions and actions based on the content of this book. This disclaimer is a general statement and may need to be customized based on the specific content and context of your book. It is always advisable to seek legal advice to ensure your disclaimer is appropriate for your particular circumstances.


U.S. Partnership Return of Income

U.S. Partnership Return of Income
Author: United States. Internal Revenue Service
Publisher:
Total Pages: 110
Release: 1999
Genre: Business enterprises
ISBN:

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Master Limited Partnerships

Master Limited Partnerships
Author: Richard Stooker
Publisher:
Total Pages: 198
Release:
Genre: Business & Economics
ISBN:

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In a low yield world where government bonds pay next to no interest, S&P 500 stocks pay little more than that in dividends, the Canadian government is on the threshold of taxing income trusts, and even real estate investment trusts are suffering cash flow problems, one type of security still stands as a beacon of hope to income investors. Master Limited Partnerships or MLPs 9% yields . . . that increase 9% annually . . . quarterly distributions almost guaranteed . . . capital gains that leave the S&P 500 in the dust . . . tax protection . . . business profits protected by federal government regulation . . . profit from the energy sector without the volatility of market prices because MLPs are paid by volume not final price. Until now, the information available to investors has been scanty. There've been only chapters in books. One prominent financial advice company recently launched a newsletter devoted to them, but the price tag is $399 annually. The Internet contains summary but incomplete articles and snatches of advice (some good, some inaccurate). Finally, investors can learn all about these terrific investments -- their rewards and risks; the paperwork hassles and how to get around them; and how to invest in them using both taxable and tax-deferred accounts. In one convenient volume for one low price. This book is the first and only devoted solely to Master Limited Partnerships. You'll discover: The incredible benefits of Master Limited Partnerships Why they're still incredibly cheap How their legal rules and business structure combine to send you lots of cash Why they'll continue to generate lots of cash for the foreseeable future Information on every company Information on every MLP index Information on every MLP closed-end fund What MLP i-units are and how they can skyrocket your IRA portfolio How to understand and complete MLP tax forms Everything you need to know to get started to enhance your current income or save for your financially secure future. I cover a lot of material that applies to all energy-related MLPs, but my strong recommendation is you confine your investment dollars to those in what are called "midstream" MLPs. More on that later. I'll start off with a chapter that explains the many benefits of investing in midstream Master Limited Partnerships. Followed by a chapter on the "catches" -- the aspects that individual investors sometimes stumble over. Followed by information on the business risks of MLPs. Then information on their history, structure and businesses both from the financial side and the petroleum industry side. This includes why businesses convert their assets to MLPs. And why such high yielding investments are still available in today's otherwise low-yield financial marketplace. Then we'll cover everybody's favorite topic -- taxes. The tax and tax filing consequences of owning MLP units. I'll also cover the various tax forms and how to complete them. Then ways of investing in MLPs that, in terms of tax paperwork and filing, are the same as investing in stocks. So you can add MLPs to your tax-deferred accounts or simply avoid the extra paperwork created by direct ownership of MLP units. There're chapters on MLP i-units, on each MLP-related closed-end fund and MLP Exchange Traded Notes. Then there're chapters on all the MLP indexes. Then tips on putting this information all together to benefit from MLPs in your taxable broker account and your tax-deferred accounts. And how to balance MLPs with the rest of your portfolio. Then a chapter on what happens if you -- against my advice -- sell MLP units. And a chapter on what happens if you follow my advice and hold your MLP units until you die. 33,000 words Then chapters on each individual energy or natural resource related MLP available today.