Liquidation Payments for Partnership Goodwill
IRC §736
Partnerships can structure liquidation payments to retiring general partners in service-based partnerships as deductible distributive shares or guaranteed payments if the agreement does not specifically provide for goodwill.
Eligibility
Applies to general partners in partnerships where capital is not a material income-producing factor.
Frequently Asked Questions
Who is eligible for the Liquidation Payments for Partnership Goodwill?
Applies to general partners in partnerships where capital is not a material income-producing factor.
How does the Liquidation Payments for Partnership Goodwill work?
Partnerships can structure liquidation payments to retiring general partners in service-based partnerships as deductible distributive shares or guaranteed payments if the agreement does not specifically provide for goodwill.
What law authorizes the Liquidation Payments for Partnership Goodwill?
The Liquidation Payments for Partnership Goodwill is authorized under IRC §736 of the Internal Revenue Code (Title 26, United States Code).
Statutory Text — IRC §736
Source: Internal Revenue Code, Title 26, United States Code
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Legal Sources
US Code (Official) — 26 USC §736 → Cornell Law Institute — 26 USC §736 → Search IRS.gov for IRC §736 → Treasury Regulations (26 CFR) →Discovered by: discovery_engine_v1
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