INCOME TAX
Internal Revenue Bulletin 2015-32 · 2026-10-03 edition · updated 2026-10-04 · United States
REG–115452–14, page 158. These proposed regulations provide guidance to partnerships and their partners regarding when an arrangement will be treated as a disguised payment for services under section 707(a)(2)(A) of the Internal Revenue Code. This document also proposes conforming modifications to the regulations governing guaranteed payments under section 707(c). Additionally, this document provides notice of proposed modifications to Rev. Procs. 93–27 and 2001–43 relating to the issuance of interests in partnership profits to service providers.
T.D. 9727, page 154. This document contains final regulations for filing a claim for credit or refund.
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