By Megan L. Brackney
 Journal of Passthrough Entities, Volume 21, Issue 5
 September – October, 2018
 
 The net operating loss (“NOL”) deduction is ubiquitous, and most tax practitioners have a solid understanding of the rules. Yet, there are two areas that trip up taxpayers and their advisors–the inability to substantiate the original NOL in an audit of a later tax year, and the application of penalties and interest to deficiencies that are otherwise offset by NOL carrybacks.
 
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