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1.[PDF] Recourse vs. Nonrecourse Liabilities – IRS

  • Author: www.irs.gov
  • Post date: 5 yesterday
  • Rating: 5(525 reviews)
  • Highest rating: 5
  • Low rated: 2
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2.Basis for “Bad Boys” – The Tax Adviser

  • Author: www.thetaxadviser.com
  • Post date: 21 yesterday
  • Rating: 2(871 reviews)
  • Highest rating: 4
  • Low rated: 1
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3.Qualified Non-Recourse Financing Considered At Risk – Federal

  • Author: answerconnect.cch.com
  • Post date: 2 yesterday
  • Rating: 1(214 reviews)
  • Highest rating: 5
  • Low rated: 3
  • Summary: Generally nonrecourse loans are not considered at risk for purposes of the IRC §465 at-risk limitations. An important exception applies to qualified …

4.Recourse vs. Non-Recourse Loan: What’s the Difference?

  • Author: www.investopedia.com
  • Post date: 23 yesterday
  • Rating: 2(988 reviews)
  • Highest rating: 4
  • Low rated: 3
  • Summary: A recourse loan is a loan where the lender can seize the collateral and other assets to recoup any losses. A non-recourse loan is one where the lender cannot …

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5.Definition: qualified nonrecourse financing from 26 USC § 465(b)(6)

  • Author: www.law.cornell.edu
  • Post date: 29 yesterday
  • Rating: 1(1468 reviews)
  • Highest rating: 5
  • Low rated: 1
  • Summary: (B) Qualified nonrecourse financing For purposes of this paragraph, the term “qualified nonrecourse financing” means any financing— (i) which is borrowed by …

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6.26 CFR § 1.465-27 – Qualified nonrecourse financing.

  • Author: www.law.cornell.edu
  • Post date: 18 yesterday
  • Rating: 2(582 reviews)
  • Highest rating: 4
  • Low rated: 2
  • Summary: (3) Personal liability; partial liability. If one or more persons are personally liable for repayment of a portion of a financing, the portion of the financing …

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7.Partnership Tax Rules – Basis from Partnership Liabilities

  • Author: www.dbbllc.com
  • Post date: 6 yesterday
  • Rating: 3(850 reviews)
  • Highest rating: 5
  • Low rated: 2
  • Summary: Qualified nonrecourse financing generally includes financing for which no one is personally liable for repayment that is borrowed for use in an activity of …

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8.26 CFR 1.465-27 — Qualified nonrecourse financing. – eCFR

  • Author: www.ecfr.gov
  • Post date: 19 yesterday
  • Rating: 1(290 reviews)
  • Highest rating: 3
  • Low rated: 2
  • Summary: For a taxpayer to be considered at risk under section 465(b)(6), qualified nonrecourse financing must be secured only by real property used in the activity …

9.Tax Geek Tuesday: Navigating The Multiple Definitions Of … – Forbes

  • Author: www.forbes.com
  • Post date: 25 yesterday
  • Rating: 3(1812 reviews)
  • Highest rating: 4
  • Low rated: 2
  • Summary:

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10.IRS Publishes Final Regs on Qualified Nonrecourse Financing

  • Author: www.taxnotes.com
  • Post date: 14 yesterday
  • Rating: 5(1092 reviews)
  • Highest rating: 4
  • Low rated: 3
  • Summary: The proposed regulations provided that a financing can be a qualified nonrecourse financing if, in addition to the real property used in the activity of holding …

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