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Business & farm
Tracked separately and reduces basis. Sec. 1366(d)(2) provides for a shareholder’s indefinite carryover of otherwise deductible S corp losses and deductions that are disallowed by reason of the basis limitation. Any loss or deduction disallowed for any tax year by reason of the basis limitation is treated as incurred by the S corp in the succeeding tax year for that shareholder.
June 30, 2019
3:10 PM
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