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Tax technology for investment partnerships
Investment partnerships face a complex landscape when it comes to tax compliance. The solution lies in partnership tax technology.
Investment partnerships face a complex landscape when it comes to tax compliance. The solution lies in partnership tax technology.
Bill would treat carried interest as ordinary income and subject to it to self-employment tax, regardless of the holding period.
In this short video, we bring you up to date on the final carried interest regulations and give guidance on actions fund managers may take.
This webcast will discuss carried interest regulations and what the proposed rules mean for investment fund managers.
Proposed carried interest regulations are mostly as expected with a few new items and detailed computational rules.
Recent guidance provides that certain deadlines, including the allowable time to invest in a QOF, are now extended because of COVID-19.
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