Final rule 2025-00324
Certain Partnership Related-Party Basis Adjustment Transactions as Transactions of Interest
This document contains final regulations that identify certain partnership related-party basis adjustment transactions and substantially similar transactions as transactions of interest, a type of reportable transaction. Material advisors and certain participants in these transactions are required to file disclosures with the IRS and are subject to penalties for failure to disclose. The final regulations affect participants in these transactions as well as material advisors.
Source-supplied record
Document details
- Document number
- 2025-00324
- Published
- Jan 14, 2025
- Effective
- Jan 14, 2025
- Comments close
- Not supplied
- Federal Register citation
- 90 FR 2958
Docket identifiers
- TD 10028
CFR references
- Title 26, part 1