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On January 1 , 2 0 2 2 , G and L formed a limited partnership to acquire and operate a rental apartment building. L

On January 1,2022, G and L formed a limited partnership to acquire and operate a rental apartment building. L, the limited partner, contributed $135 and G, the general partner, contributed $15. The partnership obtained a nonrecourse loan from an unrelated financial institution for $850 and purchased a building for $1,000 on leased land. The loan is secured by the building. The loan requires interest to be paid currently, but does not require any principal payments for 25 years. The building is depreciable over 10 years at the rate of $100 per year.
The partnership agreement satisfies the first two requirements of the basic test for economic effect (i.e., the capital account and liquidation requirements). L has no obligation to make up any deficit in her capital account. The partnership agreement, however, does have a QIO provision. It also has a "minimum gain chargeback" provision as described in 1.704-2(f). The partners agree that nonrecourse deductions will be shared equally. Finally, the agreement provides that all items of income, deduction and loss, other than nonrecourse deductions, will be allocated 90% to L and 10% to G until the first time that income and gain exceed losses taken in prior years. Thereafter, all items of income, gain, and loss will be allocated equally between the partners.
For the taxable years 2022-2024, the partnership has $70 of gross rental income and $70 of out of pocket expenses ($60 in interest and $10 in operating expenses). As a result of the depreciation deduction on the building, the partnership has an annual net tax loss of $100 each year. During this period, the partnership makes no distributions.
a. What are Gs and Ls initial outside bases in the partnership?
b. How should the partnership allocate the $100 loss for 2022 between G and L?
c. How should the partnership allocate the $100 loss for 2023?
d. At the end of 2023 does L have a potential QIO problem, i.e, is the partnerships qualified income offset provision triggered with respect to L?
e. How should the partnership allocate the $100 loss for 2024?
f. On January 1,2025 the partnership transfers the building to the lender in complete satisfaction of its obligation under the mortgage. What are the tax consequences to the partnership, G and L? Ignore any possible depreciation for 2025.

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