step transaction doctrine

E302258

The step transaction doctrine is a U.S. tax law principle that collapses formally separate but related steps into a single integrated transaction to determine their true tax consequences.

All labels observed (1)

Label Occurrences
step transaction doctrine canonical 1

How this entity was disambiguated

Statements (49)

Predicate Object
instanceOf U.S. tax law doctrine ⓘ
judicial anti-avoidance doctrine ⓘ
appliedBy Internal Revenue Service ⓘ
U.S. Tax Court ⓘ
federal appellate courts ⓘ
appliesInJurisdiction United States ⓘ
appliesTo basis step-up planning ⓘ
disguised sales in partnerships ⓘ
divisive reorganizations ⓘ
estate freeze transactions ⓘ
like-kind exchanges ⓘ
stock and asset acquisitions ⓘ
tax-free corporate reorganizations ⓘ
basedOnPrinciple substance over form ⓘ
tax avoidance prevention ⓘ
bindingCommitmentTestDefinition collapses steps when there is a binding obligation to complete later steps ⓘ
consequenceOfApplication disallowance of claimed tax benefits ⓘ
possible recognition of gain or loss earlier than planned ⓘ
recharacterization of transaction for tax purposes ⓘ
coreIdea collapses multiple formally separate steps into a single transaction ⓘ
determines tax consequences based on integrated transaction ⓘ
endResultTestDefinition collapses steps undertaken to achieve a particular ultimate result ⓘ
fieldOfUse corporate tax ⓘ
estate and gift tax ⓘ
federal income tax ⓘ
partnership tax ⓘ
reorganization tax ⓘ
focusesOn objective relationship of steps ⓘ
taxpayer intent and plan ⓘ
goal determine true tax consequences of integrated transactions ⓘ
prevent manipulation of transactional form ⓘ
interdependenceTestDefinition collapses steps that are meaningless unless all occur ⓘ
legalSystem common law ⓘ
relatedConcept business purpose doctrine ⓘ
economic substance doctrine ⓘ
sham transaction doctrine ⓘ
substance over form doctrine ⓘ
requires series of formally separate steps ⓘ
sufficient relationship among steps ⓘ
sourceOfLaw case law ⓘ
judicial interpretation of the Internal Revenue Code ⓘ
test binding commitment test ⓘ
end result test ⓘ
interdependence test ⓘ
typicalContext prearranged sale or exchange transactions ⓘ
tax-motivated multi-step restructuring ⓘ
usedTo deny unintended tax benefits ⓘ
identify abusive tax-motivated structuring ⓘ
recharacterize multi-step transactions ⓘ

How these facts were elicited

Referenced by (1)

Full triples — surface form annotated when it differs from this entity's canonical label.

Helvering v. Gregory → relatedDoctrine → step transaction doctrine ⓘ