Impact of Guarantees on Treatment of Partnership Debt Discussed in Memorandum
The IRS took a look at a number of issues related to liabilities and at-risk rules related to partnership interest in the Chief Counsel Advice 201606027. The advice relates to a partnership that acquired existing hotels and renovated them, but did not operate the hotels. One of the partners executed a guarantee on the otherwise nonrecourse debt that could be triggered if certain conditions were met.
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