- Creative Ways of Achieving Grantor Trust Status
- Client Data Security for the Tax Practitioner
- Maneuvering Through the Proposed Rules for Post-Transaction Accounting Methods
- Significant Recent Developments in Estate Planning
- Partnership Structural Changes: Deductibility of Expenses
- 2009 Tax Software Survey
- Treatment of Grants as Nonshareholder Contributions to Capital
- Intangibles Can Be Like-Kind Property
- Method Changes Within the Nonaccrual Experience Method
- Preparing Canadian Structures for 2010
- Deferring Shareholder Gain by Distributing Installment Notes
- Drop Shipments and Flash Title: Establishing Sales Tax Nexus in Complex Commercial Transactions
- Guidance on Electing Not to Take 50% Bonus Depreciation
- AMT Consequences of an Ownership Change
- Chief Counsel Outlines Litigation Tactics for Innocent Spouse Cases
- Merger Termination Fee Deductible
- Sec. 83 in the Context of Contract Manufacturing
- Trusts Owning Partnership Interests
- Interests in LLCs and LLPs Not Presumed to Be Passive Activities
- Personal Intangibles: The Antichurning Rules
- Sec. 162(m)(5) Implications for TARP Recipients
- Debt Restructurings in Today’s Private Equity Environment
- ETAAC Makes Recommendations to Congress, Including Mandatory E-Filing