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How does IRS treat a group of sellers in a related party sale?

Will the IRS treat a group of sellers collectively or individually in a related party sale? This group is comprised of separate entities that jointly own a property. They are trying to stay below the 20% threshold individually.


Answers
  • Maria De Los Angeles Rivera
    August 22, 2019

    In determining the related parties in a transaction, you must apply the terms in Sections 267(b) and 707(b)(1). One change: Wherever 50% is referred to, you must use 20%.

  • Blake Christian
    August 19, 2019

    These rules are pretty complex and depends on the relationships between the partners. Please refer to IRC Section 267(b) and 707(b)(1) (but use 20% vs. 50%) which outline how to test the 20%, which will generally require grouping some or all.

  • Matthew Rappaport
    August 19, 2019

    The 20% rule only applies if there are related parties on the opposite side of the transaction. If you have a group of related persons selling to an unrelated third party, the 20% rule will not apply to the sale. If the group is selling to a related party, the IRS will probably measure the 20% rule seller-by-seller, rather than apply as a group, unless special circumstances apply (the sellers file as a consolidated group, for instance).

  • Guy Nicio
    August 20, 2019

    The related party rule requires that you take the aggregate. Therefore, related party interests are totaled up together as one interest for purposes of the 20% test.

  • Pat Cardwell
    August 25, 2019

    I am not sure there are any changes in the related party rules.

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