Date/Time
12/15/2025
9:00 AM - 5:00 PM Central
Course Registration
Member: $279.00
Non-Member: $299.00
Credits
8 Credits
Event Type(s)
Webinars
Event Description
The purpose of this course is to provide an in-depth discussion of selected advanced-level issues affecting LLCs and LLPs.

Objectives:
  • Identify tax and nontax advantages and disadvantages of LLCs and partnerships
  • Describe how inside and outside basis is affected by liabilities, recourse and nonrecourse
  • Discuss the impact of cash and property distributions
  • Explain the tax consequences of a sale of an interest and distinguish such consequences from the tax consequences when a partnership or LLC is acquired or merges into another LLC or partnership
  • Complete a case study to improve advocacy skills before the IRS

Presenters:
Sue Smith, CPA

Field of Study:
Taxes (8)

Major Topics:
  • The Inflation Reduction Act of 2022
  • Single-member limited liability companies as an alternative to subsidiaries
  • Cancellation of indebtedness rules and regulations
  • How the IRS views members or partners for Social Security purposes
  • Special problems when forming an LLC
  • Debt issues and problems in structuring LLCs and LLPs, including loan guarantee issues, recourse and nonrecourse debt, the at-risk basis rules, and new regulations restricting bottom-dollar guarantees
  • Distribution or a disguised sale? New regulations eliminate certain tax-deferred leveraged partnership transactions
  • Death or retirement of a member or partner – understanding the alternatives
  • Step-up in basis issues – how to make the computations and elections
  • Property transactions between the LLC/LLP and its members or partners – what to do with built-in gain or loss property
  • When are partnership losses deductible? The TCJA and CARES Act overrides
  • Material participation rules for LLC members and limited partners and how they affect passive loss issues
  • Continuation and termination of an LLC/partnership in the context of a merger or acquisition
  • Sales of an LLC interest – holding period and hot asset issues
  • Impact of the tax on investment income on the sale of an interest in a partnership or LLC
  • Repeal of the technical termination of partnership provision
  • Impact of Soroban Capital Partners LP, 161 TC No.12
  • NEW: The IRS removes recently finalized regulations identifying certain partnership basis shifting transactions as transactions of interest (see Chapter 2)
Location
Webinar
Outlook/vCalendar/Google
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