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Joliet Illinois online Form 1065-X: What You Should Know

Yes A: Yes — the following is the applicable rule: Revocation : Section 827(c)(1)(A) of the Code; Amended : No Q Is the partnership proposing an amendment to the partnership agreement (that would result in the same partners as prior partners being entitled to distribute to the members of each class, class size, or percentage as the previous partners) for the purpose of revoking the immediately preceding partnership representative (and/or designated individual, if applicable) and appointing a successor (other than a successor who is the same person as the original representative) for the purposes of revoking the right to distribute any income or gain of the partnership pursuant to Section 837(a) of the Code? Yes Q: Is the partnership proposing an amendment to the partnership agreement (that would result in the same partners as prior partners being entitled to distribute to the members of each class, class size, or percentage as the previous partners) for the purpose of revoking the immediately preceding partnership representative (and/or designated individual, if applicable) and imposing a lesser or greater distribution restriction on members entitled to any of the same class or class size? Yes A: Yes — the following is the applicable rule: No Revocation: Section 827(c)(1)(A) of the Code; Amended: No Q Is the partnership proposing an amendment to the partnership agreement (that would result in the same partners as prior partners being entitled to distribute to the members of each class, class size, or percentage as the previous partners) for the purpose of revoking the predecessor party's partnership return and imposing a partnership distribution tax (from the first distribution made or, if no distributions are made, from the first taxable year with respect to which the partnership's applicable tax return is made) instead of imposing the same distribution tax (under Section 828(a) of the Code) under the terms of the predecessor party's agreement pursuant to which the predecessor party provided for such distributions? Yes A: Yes — the following is the applicable rule: No Revocation: Section 827(c)(1)(A) of the Code; Amended: No For example a partnership with C-share, A-share, and D-share members would have three partners on the A.

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