Section 461(l): Loss Limitations After TCJA Webinar

Aug 17
9:00 - 1:00 p.m.

Online

4-Tax
CPE Credits

The Tax Cuts and Jobs Act added Section 461(l) to the Internal Revenue Code, limiting losses previously available. To the extent a taxpayer has an “excess business loss” for the tax year under Section 461(l), that portion of the taxpayer’s overall loss becomes a net operating loss (NOL) carried forward to future tax years and subject to the new rules that govern NOL generated after 2017. Many owners of S corporations, partnerships, and limited liability companies are now subject to numerous loss limitation provisions. This program covers each loss limitation provision and how they relate to each other, focusing particular attention on Section 461(l).
Highlights
  • How the new Section 461(l) loss limitation provisions work
  • The new net operating loss rules and how they relate to Section 461(l)
  • Threshold amounts for limitation
  • Determination of a taxpayer’s basis in a pass-through entity
  • Suspended losses and deductions due to basis limitations
  • How at-risk rules operate to limit loss deductions
  • Passive activity loss rules that suspend losses

Registration

PICPA Member: $139
Nonmember: $189

More Information

Course No. S461-2020-01-WEBNR-230-01 Level: Intermediate

Prerequisites: Working knowledge of federal tax rules related to individuals and businesses

Notes
This webinar is hosted by PICPA's partner, Surgent CPE. After registering, you will receive an email from Surgent CPE with the log-in information.

Speaker(s)

Michael Tucker