By Stephen Josey
Law360 Tax Authority
July 27, 2022
On May 27, the Internal Revenue Service provided much-needed guidance to taxpayers and tax professionals regarding the scope of the qualified trades or businesses requirement for claiming the qualified small business stock, or QSBS, exclusion.
As background, to qualify for the exclusion, a company must meet certain active business requirements in Internal Revenue Code Section 1202(e)(1)(A), which mandate that at least 80% of the value of the corporation’s assets are used in the active conduct of one or more qualified trades or businesses.
This article examines best practices for establishing eligibility for the QSBS exclusion at the time it is claimed so as to best position the taxpayer for any potential future audit
Click here for the full article.
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Reprinted with permission.