Jeremy Simpson on IRS Basis-Shifting Rules in Tax Notes

Associate Attorney Jeremy Simpson provides detailed analysis of the IRS’s final regulations on basis-shifting transactions of interest in Tax Notes. He examines new disclosure requirements for certain partnership transactions involving related parties—regulations aimed at curbing potential tax avoidance. Simpson outlines how the changes affect taxpayers, material advisers and private equity funds, and offers practical guidance for navigating compliance and avoiding costly penalties.

Read the full article in Tax Notes.