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The Internal Revenue Code Section 6662 defines a tax shelter as any partnership entity plan or arrangement if a significant purpose of such partnership entity plan or arrangement is the avoidance or evasion of federal income tax What is a tax shelter The Internal Revenue code was purposefully created in order to avail corporations to benefit from legitimate tax shelters in order to ensure applicable social and economic benefit intended by Congress Furthermore Congress has determined that the resulting loss of revenue is a tolerable byproduct of a special tax provision that promotes legitimate investments and encourages economic growth Wade A legitimate investment is typically one that carries a degree of risk due to the fact that it currently fails to produce gainful income but within reasonably foreseeable future will avail future gains On the other hand an investment that one knows will persistently generate negative income and has no probability of attaining a successful growth at a later date is disallowed by the tax shelter provision For instance an example of a legitimate tax shelter investment is a low-income property that provides depreciation benefits and requires a significant contribution with an element of risk Wade In other words IRS would rather support a healthy investment into this property in order for it to start yielding income in the foreseeable future than to have it constantly produce negative earnings Thus this leniency draws potential investors and enables them to safely advance funds toward a loosing venture with hopes of recuperating their losses and becoming gainful taxpayers Moreover one could argue that because of the fact that IRS services grants this ability to potential investors in the form of an incentive it invests in the future growth of the US economy Conversely IRS allows corporations to write-off taxes in the initial stage of the purchase but they are banking that at a later date the property would be one of a yielding nature and thus would
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