Is the Report of Lazarus's Death Premature? A Reply to Cameron and Postlewaite
41 Pages Posted: 25 Nov 2009
Date Written: November 23, 2006
Abstract
Over a year ago, Ms. Faith Cuenin and I wrote an article about the tax treatment of guaranteed payments under section 707(c) that are made in kind. We concluded that a partnership does not recognize gain or loss on the making of a guaranteed payment with appreciated or depreciated property. We also concluded that the partner’s basis in the property received will equal its fair market value at the time of payment, and that the payment does not affect the partner’s outside basis in his partnership interest except to the extent of the partner’s share of any deduction that the partnership obtained by making the payment. Professors Cameron and Postlewaite strongly disagree with one of the conclusions we reached in our Article (i.e., our conclusion that the partnership does not recognize gain or loss) and with all of our reasoning.
While I find their arguments well reasoned and documented, for reasons that I explain in this response, I continue to hold to the conclusions that Ms. Cuenin and I reached in the original article.
The Cameron and Postlewaite article can be divided into two principal parts. One is the contention that section 707(c) was impliedly or effectively repealed by the adoption of section 707(a)(2) as part of the Tax Reform Act of 1984. The second is a contention that, even if section 707(c) is still viable, the conclusion concerning the partnership’s nonrecognition of income that Ms. Cuenin and I reached in the original article, and our reasons for reaching that conclusion, are wrong. This article addresses both contentions.
Keywords: Taxation, Partnership, Partner, Guaranteed Payment
JEL Classification: H20, H25
Suggested Citation: Suggested Citation