H.R.3501: To amend the Internal Revenue Code of 1986 to provide that indebtedness incurred by a partnership in acquiring securities and commodities is not treated as acquisition indebtedness by organizations which are limited partners for purposes of the unrelated business income tax.
|
Please upgrade your Flash Player Latest Update: Wednesday, January, 07th 2009
To amend the Internal Revenue Code of 1986 to provide that indebtedness incurred by a partnership in acquiring securities and commodities is not treated as acquisition indebtedness by organizations which are limited partners for purposes of the unrelated business income tax. 9/7/2007--Introduced.
Amends Internal Revenue Code provisions relating to the tax on the unrelated business income of tax-exempt organizations to exempt from treatment as acquisition indebtedness (subject to the unrelated business income tax) indebtedness incurred or continued by a limited partnership in a partnership to purchase or carry certain securities or commodities. Comment on Bill - Be the first to leave a comment!
|
![]() Important PeopleSponsor Co-Sponsor(s) Latest News
Searching for articles...
You can suggest an article.
|
||||||||||||

































