IRS PLR: Partnership Basis Election Extension After Partner’s Death Granted (IRC §754)

May 10, 2019, 6:01 PM UTC

Extension of time to elect to adjust the basis of partnership property under tax code Section 754 granted to a limited liability company treated as a partnership for federal tax purposes after a partner died and the remaining partnership interest failed to timely execute a Section 754 election. [PLR 201919009]

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