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BBA Partnership Tax Provisions and Bankruptcy– A Recipe for Disaster, Part 1
May 27, 2020
Some of us practitioners are old enough to have endured the transition to the TEFRA Partnership audit provisions from the unwieldy pre-TEFRA rules that required the IRS to audit the tax returns of all partners in a tax partnership in order to assess deficiencies resulting from adjustments to Forms 1065 filed by those partnerships. That transition required a considerable learning curve.
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