Don Farmer's Hot Assets & IRC 751: Avoiding Surprises on Partnership Sales (2 hours - late morning) - Webcast
Overview
Sales of partnership interests can trigger unexpected ordinary income when “hot assets” under IRC §751 are involved. Many practitioners focus on capital gain treatment under IRC §741, only to discover that unrealized receivables and inventory items require recharacterization of a portion of the gain as ordinary income.
This focused 2-hour program provides a practical and technical review of IRC §751 and its application to partnership interest sales and certain distributions. Participants will examine the definition of hot assets, the mechanics of ordinary income recharacterization, and the calculation of a partner’s share of unrealized receivables and inventory. The course also addresses common pitfalls, planning considerations, and documentation strategies to avoid costly surprises for clients.
Through examples and case-based discussion, attendees will gain clarity on how to identify §751 property, compute the ordinary income component of a sale, and properly report partnership interest transactions.
Highlights
Overview of Partnership Interest Sales
- General rule under IRC §741
- Capital asset treatment of partnership interests
- Interaction with Subchapter K principles
Definition and Scope of Hot Assets (IRC §751)
- Unrealized receivables
- Depreciation recapture (§1245 and §1250)
- Accounts receivable for cash-basis partnerships
- Ordinary income recapture items
- Inventory items
- Substantially appreciated inventory
- Determining fair market value
Mechanics of §751 Recharacterization
- Allocation of gain between capital and ordinary income
- Determining a partner’s share of §751 property
- Impact of inside vs. outside basis
- Effect of liabilities under IRC §752
Distributions and §751(b)
- Disproportionate distributions
- Exchanges of hot assets for other property
- Ordinary income recognition in rebalancing transactions
Reporting and Compliance Considerations
- Form 4797 and Schedule D implications
- Partnership reporting responsibilities
- Disclosure considerations
- Documentation and valuation challenges
Planning Considerations and Risk Management
- Transaction structuring strategies
- Timing considerations
- Due diligence in partnership interest acquisitions
- Common practitioner errors and audit risk areas
Designed For
CPAs and tax professionals
Objectives
Upon completion of this program, participants will be able to:
- Identify “hot assets” as defined under IRC §751, including unrealized receivables and inventory items.
- Differentiate between capital gain treatment under IRC §741 and ordinary income recharacterization under IRC §751.
- Calculate the ordinary income component arising from the sale or exchange of a partnership interest.
- Determine reporting requirements and compliance considerations related to partnership sales involving §751 property.
- Recognize common planning opportunities and traps associated with hot assets in partnership transactions.
Leader(s):
Leader Bios
Nicholas Preusch, Don Farmer Tax Education
Nick Preusch, CPA, J.D., LL.M., MSA, has a primary focus of performing tax services relating to emerging issues and complex tax transactions. He works closely with businesses and individuals to find tax efficiencies through ever-changing tax legislation.
Nick started his career with the Internal Revenue Service (IRS) as a revenue agent, and then as an attorney at the IRS National Office in Washington, D.C., where he was the lead attorney for several significant tax ethics cases.
Nick co-authored Tax Preparer Penalties and Circular 230 Enforcement, a textbook published by Thomson Reuters. He has also been published in the AICPA's Tax Advisor and Journal of Accountancy along with CCH's Journal of Tax Practice and Procedure. In 2017, he was named one of the VSPCA's Top 5 Under 35. In 2018, he was named to CPA Practice Advisor's Top 40 Under 40. In 2018, he was part of the AICPA's New Face of Tax ad campaign. Nick has been a member of the AICPA's Tax Practice Responsibilities Committee, Tax Executive Committee and Professional Ethics Executive Committee.
(4/15/26)
Non-Member Price $109.00
Member Price $89.00