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  • Issue Library -- The Tax Adviser
  • 2010
  • December 2010
  • Tax Professionals: Making the Difference
  • Payments Under Forbearance Agreements Held Partially Deductible
  • IRS Will Not Rule in Advance on Economic Substance of Transactions
  • Grouping Rental Real Estate Activities Under Regs. Secs. 1.469-4 and 1.469-9
  • Elections Available to S Corporations with Significant Ownership Changes
  • Qualified Sponsorship Payments and Advertising Income: Analyzing Unrelated Business Taxable Income
  • Reorganizations and Tax Attribute Survival
  • Small Business Jobs and Tax Bill Enacted
  • Planning for the New Medicare Taxes
  • Current Developments in Employee Benefits and Pensions (Part II)
  • Click-Through Nexus and Information-Reporting Requirements
  • Classification as a Statutory Employee
  • 2010 Arthur J. Dixon Memorial Award
  • IRS Gives Limited Guidance on Economic Substance
  • S Corporations with Earnings and Profits
  • The HIRE Act of 2010
  • Massachusetts Passes Economic Development Act
  • Final Regs. on Stock Basis Reporting Requirements
  • Deepwater Horizon and Sec. 162
  • Elections to Direct Credit Card Rebates to Qualified Charities
  • GRATs in 2010: Still a Viable Estate and Gift Tax Planning Option
  • Increasing Passive Activity Loss Deductions with Self-Charged Interest
  • Remodel or Rebuild? How the Decision Could Affect the Sec. 121 Exclusion
  • IRS Delays Mandatory W-2 Reporting of Health Care Coverage Costs


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