This course is designed to provide tax, accounting, and finance professionals with an in-depth understanding of related party rules and their significant impact on federal income tax implications. The class offers a detailed exploration of IRC Section 267's core definition of "related parties" and its applications, crucial for effective tax planning and compliance. You will gain insights into constructive ownership of stock under Section 318, navigate the complexities of related party loans, and understand partnership issues under Section 707. The course also covers the implications of Section 1239 on gain from depreciable property, the intricacies of matching expense deductions, and the rules for sales of property at a loss. Additionally, you'll explore the nuances of Section 179 issues and examine installment sale rules and Section 280A rental issues with related parties. By participating in this course, you will benefit from a clearer understanding of these regulations, enabling you to apply this knowledge to real-world scenarios, thereby enhancing your expertise and ensuring accuracy and efficiency in your professional practice.
Learning Objectives
Upon completing this course, participants will be able to:
Analyze IRC Section 267
Constructive Ownership of Stock under Section 318
Related Party Loans
Section 707 and related partnership issues
Section 1239 gain from depreciable property
Matching Expense Deductions
Sale or Property at a Loss
Section 179 Issues
Examine Installment sale rules with related parties
Section 280A rental issues
Major Topics
Related Parties under IRC Section 267
Related Parties under IRC Section 707
Related Parties under IRC Section 1239