Application of Section 108(i) to Partnerships and S Corporations

Document ID: IRS-2010-0024-0002
Document Type: Rule
Agency: Internal Revenue Service
Topics: Income Taxes, Reporting and Recordkeeping Requirements
Federal Register Number: 2010-20058
CFR Citation: 26 CFR Parts 1 and 602
View Document:  View as format pdf View as format html

Details Information

Received Date: August 13 2010, at 01:49 PM Eastern Daylight Time
Start-End Page: 49380 - 49394
Comment Start Date: August 13 2010, at 12:00 AM Eastern Standard Time

Comments

Total: 0
No comments posted.

Related Documents

    More
Total: 28
Guidance Regarding Deferred Discharge of Indebtedness Income of Corporations and Deferred Original Issue Discount Deductions
Application of Section 108(i) to Partnerships and S Corporations
Basis Reporting: Securities Brokers and Basis Determination for Debt Instruments and Options; Reporting for Premium
Indirect Stock Transfers and Coordination Rule Exceptions: Transfers of Stockor Securities in Outbound Asset Reorganizations
Certain Outbound Property Transfers by Domestic Corporations: Certain Stock Distributions by Domestic Corporations