ARTICLE

Grecian Magnesite Mining v. Commissioner: Foreign Investor Not Subject to US Tax on Sale Of Partnership Interest

August 31, 2017

Read time: 2 min

Overview

Kristen Hazel, Sandra McGill and Susan O’Banion wrote this bylined article on a US Tax Court ruling that a gain realized by a foreign taxpayer on the sale of an interest in a partnership engaged in a US trade or business was a sale of a capital asset not subject to US tax. Taxpayers who followed a previous IRS ruling on the issue “might consider whether to file an amended return following the Tax Court’s guidance,” the authors wrote.

Authors

Kristen E. Hazel

Partner & Deputy General Counsel

Chicago

Sandra P. McGill

Counsel

Chicago

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