Free 2008 Instruction 1065-SCHEDULE C - Federal


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Preview 2008 Instruction 1065-SCHEDULE C
2008
Instructions for Schedule C (Form 1065)
Additional Information for Schedule M-3 Filers
Section references are to the Internal Revenue Code unless otherwise noted.

Department of the Treasury Internal Revenue Service

General Instructions
Purpose of Form
Use Schedule C (Form 1065) to provide answers to additional questions for filers of Schedule M-3 (Form 1065), Net Income (Loss) Reconciliation for Certain Partnerships.

Who Must File
Schedule C (Form 1065) must be filed by all partnerships that file Form 1065, U.S. Return of Partnership Income, and are also filing Schedule M-3 (Form 1065). Attach Schedule C (Form 1065) to Form 1065.

Specific Instructions
Question 1. For certain transfers that are presumed to be sales, the partnership or the partners must comply with the disclosure requirements in Regulations section 1.707-8. Generally, disclosure is required when: 1. Certain transfers to a partner are made within two years of a transfer of property by the partner to the partnership; 2. Certain debt is incurred by a partner within two years of the earlier of: · A written agreement to transfer or · A transfer of the property that secures the debt, if the debt, nevertheless, is treated as a qualified liability; or 3. Transfers from a partnership to a partner occur which are the equivalent to those listed in 1 or 2 above. The disclosure must be made on the transferor partner's return using Form 8275, Disclosure Statement, or on an attached statement providing the same

information. When more than one partner transfers property to a partnership pursuant to a plan, the disclosure may be made by the partnership rather than by each partner. Question 2. Answer "Yes" if this partnership is a partner in another partnership and has received special allocations of income, gain, loss, deduction, or credit from such partnership. For more information on special allocations, see Special Allocations, in the Instructions for Form 1065. Example. P, a partnership, joins with B, an individual, in forming the PB partnership. P and B each contribute $50,000 cash to PB partnership. Profits and losses are split 50/50, with the exception of depreciation, which is allocated 99% to P and 1% to B. P answers "Yes" to question 2 because its 99% allocation of depreciation deductions from PB partnership is disproportionate to its ratio of sharing other items from PB partnership. Question 5. The term "change in accounting principle" means a change from one generally accepted accounting principle to another generally accepted accounting principle as described in "Statement of Financial Accounting Standards No. 154 ­Accounting Changes and Error Corrections." For purposes of this question, answer "Yes" if such a change in accounting principle occurred during the tax year and such change resulted in, or is expected to result in, an effect on the amount of income reported for financial statement purposes. Question 6. File Form 3115, Application for Change in Accounting Method, to request a change in a method of accounting. See the Instructions for Form 3115 for information on requesting a change in accounting method.

Cat. No. 51534B