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White Paper

5 Pages
  • 5 Pages

Partnership Audit Rules: Drafting Considerations

 

There are many issues that need to be considered when drafting amendments.

Partnership agreements will need to address partnership audit rules and include provisions that clarify the rights, powers and obligations of the partnership representative, the reviewed year partners and the adjustment year partners.  In some cases, conflicts will arise between these three groups of persons. This white paper provides a list of some of the issues that will need to be considered in drafting amendments to existing partnership agreements in new partnership agreements.

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Partnership Audit Rules: Drafting Considerations

Agenda

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Partnership Audit Rules: Drafting Considerations

Faculty

Charles D. Pulman

Charles D. Pulman

Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P.

  • Tax partner with the Dallas law firm of Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P.
  • Practice focuses primarily on federal tax planning and compliance with extensive experience representing taxpayers under IRS audit and the resulting administrative and judicial proceedings
  • Extensive experience representing entities taxed as partnerships and their partners
  • Represents clients on tax matters throughout the United States
  • Board certified in tax law by the Texas Board of Legal Specialization; he is also a Certified Public Accountant
  • Writes and speaks extensively on tax related topics and has written and spoken on several occasions with regard to the new IRS audit regime affecting partnerships
  • Recognized by his peers as a Texas Super Lawyer and recognized as one of the Best Lawyers in Dallas by D magazine
  • LL.M. degree in taxation, New York University
  • Can be contacted at 214-749-2447 or [email protected]
Matthew L. Roberts

Matthew L. Roberts

Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P.

  • Senior tax associate with the law firm Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P.
  • Represents individuals, estates, partnerships, and large corporations in all stages of a tax dispute, including IRS examinations, administrative appeals, and litigation in the U.S. Tax Court and Federal District Court
  • Practice also includes domestic and international income tax and business planning
  • From 2012-2015, he was an attorney-advisor for The Honorable Chief Judge Michael B. Thornton, United States Tax Court in Washington, D.C.
  • Since its enactment, he has written articles and has participated in speaking engagements on the new centralized partnership audit rules
  • LL.M. degree in taxation, New York University School of Law; J.D. degree, summa cum laude, University of Mississippi School of Law; M.A. degree in taxation; B.A. degree in accounting, The University of Mississippi
  • Can be contacted at 214-744-3700 or [email protected]
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Partnership Audit Rules: Drafting Considerations

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