000 00884nam a22001457a 4500
999 _c85110
_d85110
005 20230422083621.0
008 230422b ||||| |||| 00| 0 eng d
041 _aeng
100 1 _aKirk, David
_eauthor
245 _aMortgage broker is not a real estate professional
264 4 _c2018
520 3 _aThe article discusses the court case in which independent contractor Kurt Hickam claimed rental real estate loss deductions on his 2011 and 2012 tax returns for the properties he owns and by his family members. The U.S. Internal Revenue Service (IRS) found that the passive activity loss rules should be applied. The court ruled that Hickam's mortgage brokerage services and loan origination services were not qualified as real property trades or businesses under Sec. 469(c)(7)(C)
773 _tJournal of Accountancy
_aJan2018, Vol. 225 Issue 1, pages 56 - 56
942 _2ddc
_cART