Virginia Statutes

§ 58.1-396 — Definitions

Virginia § 58.1-396
JurisdictionVirginia
Title 58.1Taxation
Subtitle ITaxes Administered by the Department of Taxation
Ch. 3Income Tax
Art. 9.1Reporting Adjustments to Federal Taxable Income from Federal Partnership Audits

This text of Virginia § 58.1-396 (Definitions) is published on Counsel Stack Legal Research, covering Virginia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Va. Code Ann. § 58.1-396 (2026).

Text

As used in this article, unless the context requires otherwise: "Administrative adjustment request" means an administrative adjustment request filed by a partnership pursuant to § 6227 of the Internal Revenue Code. "Audited partnership" means a partnership subject to a partnership-level audit that results in a federal adjustment. "Corporate partner" means a partner that is subject to tax under Article 10 (§ 58.1-400 et seq.). "Direct" means, with respect to a partner, that such partner holds a direct interest in a partnership or a pass-through entity and that such interest is not held indirectly through another partnership or pass-through entity. "Exempt" means, with respect to a partner, that such partner is exempt from Virginia income taxation. If such partner has unrelated business

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Related

§ 701
26 U.S.C. § 701
§ 6221
26 U.S.C. § 6221

Legislative History

2020, c. 1030.

Nearby Sections

15
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Bluebook (online)
Virginia § 58.1-396, Counsel Stack Legal Research, https://law.counselstack.com/statute/va/58.1/58.1-396.