ARTICLE
3 November 2023

Big Changes Coming To Connecticut's Passthrough Entity Tax

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Shipman & Goodwin LLP
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Shipman & Goodwin’s value lies in our commitment -- to our clients, to the profession and to the community. We have one goal: to help our clients achieve their goals. How we accomplish it is simple: we devote our considerable experience and depth of knowledge to understand each client’s unique needs, business and industry, and then we develop solutions to meet those needs. Clients turn to us when they need a trusted advisor. With our invaluable awareness of each client’s challenges, we can counsel them at every step -- to keep their operations running smoothly, help them navigate complex business transactions, position them for future growth, or resolve business disputes. The success of our clients is of primary importance to us and our attorneys invest meaningful time getting to know the client's business and are skilled in the practice areas and industry sectors critical to that success. With more than 175 attorneys in offices throughout Connecticut, New York and in Washington, DC, we serve the needs of
Shortly following the adoption of the federal Tax Cuts and Jobs Act of 2017, Connecticut adopted its passthrough entity (PTE) tax (also known as PET).
United States Tax
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A Tax Notes State article, linked by permission

Shortly following the adoption of the federal Tax Cuts and Jobs Act of 2017, Connecticut adopted its passthrough entity (PTE) tax (also known as PET). Connecticut was the first state in the country to adopt a PET, which was effective with the 2018 tax year. The purpose of the PET was to provide the owners of certain passthrough entities, such as limited liability companies, partnerships, and S corporations (referred to herein as PTEs), with a way to mitigate the negative tax consequences of the $10,000 limitation imposed by the TCJA on the deduction of certain state and local taxes (the SALT limitation). Connecticut was the first state in the country to impose an income-based tax directly on PTEs that was designed to provide a workaround to the SALT limitation.

In brief, the main objective of the 2018 Connecticut PET legislation was to provide the owners of the PTE with the economic effect of a federal income tax deduction resulting from the movement of the tax burden for state and local income taxes from the owners of the PTE to the PTE, in which case such income taxes would be deductible by the PTE. Without the 2018 Connecticut PET legislation, the state tax burden on the income earned by the PTE would be on the individual owners of the PTE, and the state income tax would generally not be fully deductible for federal tax purposes because of the SALT limitation.

Read the full article written by Louis B. Schatz, and published in Tax Notes State, as he provides detailed analysis of significant upcoming legislative revisions to Connecticut's passthrough entity tax.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

ARTICLE
3 November 2023

Big Changes Coming To Connecticut's Passthrough Entity Tax

United States Tax
Contributor
Shipman & Goodwin LLP  logo
Shipman & Goodwin’s value lies in our commitment -- to our clients, to the profession and to the community. We have one goal: to help our clients achieve their goals. How we accomplish it is simple: we devote our considerable experience and depth of knowledge to understand each client’s unique needs, business and industry, and then we develop solutions to meet those needs. Clients turn to us when they need a trusted advisor. With our invaluable awareness of each client’s challenges, we can counsel them at every step -- to keep their operations running smoothly, help them navigate complex business transactions, position them for future growth, or resolve business disputes. The success of our clients is of primary importance to us and our attorneys invest meaningful time getting to know the client's business and are skilled in the practice areas and industry sectors critical to that success. With more than 175 attorneys in offices throughout Connecticut, New York and in Washington, DC, we serve the needs of
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