HR 2978 · 102th Congress · Taxation
To amend the Internal Revenue Code of 1986 with respect to the treatment under the partnership allocation rules of certain nonrecourse financing qualifying under the at-risk rules.
Bill Progress
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Introduced2
Committee3
House Vote4
Senate5
EnactedLatest: Referred to the House Committee on Ways and Means.(1991-07-23)
Plain Language Summary
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Amends the Internal Revenue Code to provide for the treatment under the partnership allocation rules if: (1) any liability of a partnership is qualified nonrecourse financing treated as amounts at-risk; (2) such financing is not provided by a partner who holds more than 50 percent of capital interest or profits interest in such partnership (and is not provided by a related person); and (3) the allocation of partnership items to each partner is a qualified allocation.…
Summarized by Claude AI · Non-partisan · For informational purposes only