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In United States tax law, a section 475(f) fund is a hedge fund that elects to mark to market all its unrealized gains and losses, as allowed by the provisions of section 475(f) of the Internal Revenue Code.[1] This can lead to a much faster recognition of gain, but also lessens the tax fees due to the high cost of performing the appropriate analysis for a non-475 fund.

References

  1. ^ "26 U.S. Code § 475 - Mark to market accounting method for dealers in securities". Legal Information Institute, Cornell Law School. Retrieved 7 December 2015.