FEDERAL · 26 U.S.C. · Chapter Subchapter O—Gain or Loss on Disposition of Property
Partnership interests held in connection with performance of services
26 U.S.C. § 1061
This text of 26 U.S.C. § 1061 (Partnership interests held in connection with performance of services) is published on Counsel Stack Legal Research, covering United States primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Bluebook
26 U.S.C. § 1061.
Text
(a)In general
If one or more applicable partnership interests are held by a taxpayer at any time during the taxable year, the excess (if any) of—
(1)the taxpayer's net long-term capital gain with respect to such interests for such taxable year, over
(2)the taxpayer's net long-term capital gain with respect to such interests for such taxable year computed by applying paragraphs (3) and (4) of sections 1 1222 by substituting "3 years" for "1 year",
shall be treated as short-term capital gain, notwithstanding section 83 or any election in effect under section 83(b).
(b)Special rule
To the extent provided by the Secretary, subsection (a) shall not apply to income or gain attributable to any asset not held for portfolio investment on behalf of third party investors.
(c)Applicable partnersh
Free access — add to your briefcase to read the full text and ask questions with AI
Related
Uncasville Mfg. Co. v. Commissioner of Internal Revenue
55 F.2d 893 (Second Circuit, 1932)
Staten Island Hygeia Ice & Cold Storage Co. v. United States
9 F. Supp. 746 (E.D. New York, 1934)
Austin Co. v. Commissioner of Internal Revenue
35 F.2d 910 (Sixth Circuit, 1929)
Crown Willamette Paper Co. v. McLaughlin
81 F.2d 365 (Ninth Circuit, 1936)
Loewer Realty Co. v. Anderson
31 F.2d 268 (Second Circuit, 1929)
Daube v. United States
59 F.2d 842 (Court of Claims, 1932)
Jaffee v. Commissioner of Internal Revenue
45 F.2d 679 (Second Circuit, 1930)
Von Weise v. Commissioner
69 F.2d 439 (Eighth Circuit, 1934)
United States v. Updike
32 F.2d 1 (Eighth Circuit, 1929)
United States v. Updike
25 F.2d 746 (D. Nebraska, 1928)
WP Brown & Sons Lumber Co. v. Com'r of Internal Revenue
38 F.2d 425 (Sixth Circuit, 1930)
Brampton Woolen Co. v. Field
56 F.2d 23 (First Circuit, 1932)
Commissioner of Int. Rev. v. United States Ref. Corp.
64 F.2d 69 (Third Circuit, 1933)
City Nat. Bank v. Commissioner of Internal Revenue
55 F.2d 1073 (Fifth Circuit, 1932)
Hord v. United States
59 F.2d 125 (Court of Claims, 1932)
United States v. Oscar Frommel & Bro.
50 F.2d 73 (Second Circuit, 1931)
United States v. Southern Lumber Co.
51 F.2d 956 (Eighth Circuit, 1931)
In Re McClure Co.
21 F.2d 538 (N.D. Georgia, 1927)
Geuder, Paeschke & Frey Co. v. Com'r of Internal Revenue
41 F.2d 308 (Seventh Circuit, 1930)
Liberty Baking Co. v. Heiner
34 F.2d 513 (W.D. Pennsylvania, 1929)
Source Credit
History
(Added Pub. L. 115–97, title I, §13309(a)(2), Dec. 22, 2017, 131 Stat. 2130.)
Editorial Notes
Editorial Notes
Prior Provisions
A prior section 1061 was renumbered section 1063 of this title.
Statutory Notes and Related Subsidiaries
Effective Date
Pub. L. 115–97, title I, §13309(c), Dec. 22, 2017, 131 Stat. 2131, provided that: "The amendments made by this section [enacting this section and renumbering former section 1061 of this title as section 1062] shall apply to taxable years beginning after December 31, 2017."
Prior Provisions
A prior section 1061 was renumbered section 1063 of this title.
Statutory Notes and Related Subsidiaries
Effective Date
Pub. L. 115–97, title I, §13309(c), Dec. 22, 2017, 131 Stat. 2131, provided that: "The amendments made by this section [enacting this section and renumbering former section 1061 of this title as section 1062] shall apply to taxable years beginning after December 31, 2017."
Cite This Page — Counsel Stack
Bluebook (online)
26 U.S.C. § 1061, Counsel Stack Legal Research, https://law.counselstack.com/usc/26/1061.