TEB - IRC Section 150(b) Interest Deduction
Internal Revenue Manual Part 4. Examining Process · 2026-10-03 edition · updated 2026-10-04 · United States
When a closing agreement addresses nonqualified private activity bonds, the closing agreement terms may require, a payment that recoups the tax benefit that a party to the transaction received for a deduction taken for interest paid for the tax-exempt financing of the bond-financed property that accrued during the nonqualified period.
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