Rev. Rul. 91-32, Partnership Effec-
Internal Revenue Bulletin 2025-19 · 2026-10-03 edition · updated 2026-10-04 · United States
tively Connected Income Lookthrough, 199-20 IRB 20 (5-20-1991). This revenue ruling addresses the United States tax consequences of the disposition of a foreign partner’s interest in a domestic or foreign partnership that conducts a trade or business through a fixed place of business or has a permanent establishment in the United States.
EFFECT ON OTHER DOCUMENTS
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