Will the carried interest loophole be closed?: Will legislation that amends the Internal Revenue Code to effectively eliminate the long-term capital gains tax preference for carried interest (applicable partnership interests) become law before Jan 1, 2029?
Price checked at
Probability history
Market-implied probabilities · All recorded historyDrag to move · pinch or ⌘/Ctrl+scroll to zoom
Shaded periods have no successful hourly price check.
Based on this market’s outcome prices, expressed as probabilities.
Resolution rules
If legislation that amends the Internal Revenue Code to effectively eliminate the long-term capital gains tax preference for carried interest (applicable partnership interests) has become law after Issuance and before Jan 1, 2029, then the market resolves to Yes. To qualify, the legislation must mandate that carried interest be taxed at a rate equal to or greater than ordinary income rates. The legislation will trigger a Yes resolution even if this change only applies to taxpayers above a certain income threshold (e.g., individuals earning over $400,000). Minor adjustments to the required holding period (e.g., extending the current 3-year rule under Section 1061) will not suffice for a Yes resolution.
Other legs of this event
A leg read alone is misleading; the others are beside it.Venue activity
Read from the venue this minuteDiscussion on Predxy
What Predxy's readers make of this market. Everyone can read; signed-in readers can write. The venue's own thread, when it has one, is the box below.Sign in to join the discussion.
Nobody has said anything here yet.
As of Sep 30, 03:04 PM UTC