- The Number of No-Change Audits Is a Concern
- Amendments to Circular 230 to Remove “Covered Opinion” Rules
- Inadvertent Waiver of the Tax Practitioner Privilege: Salem Financial, Inc.
- Regs. Issued on Integrated Hedging Transactions of Qualifying Debt
- Intangible Drilling Cost Preference Exception Not Available When AMTI Is Negative
- Reporting Trust and Estate Distributions to Foreign Beneficiaries (Part II)
- Disaster Relief Extensions Apply Only to Original Post-Casualty Dates
- IRS Issues Prop. Regs. on Allocation of Costs Under Simplified Sec. 263A Methods
- Judicial Deference to Regulations: Home Concrete & Supply, LLC
- Updated Guidelines for Ex Parte Communications
- Significant Changes to Offer in Compromise Program
- Prop. Regs. Expand Options for Private Foundations in Grant-Making Process
- IRS Clarifies When Debt Instruments Are Publicly Traded
- 2012 Arthur J. Dixon Memorial Award
- Accounting Method Changes Under the Tangible Property Regulations
- IRS Makes Tax Exempt/Government Entities Fast Track Settlement Program Permanent
- FATCA Prop. Regs. Amended to Extend Various Deadlines
- South Carolina Taxpayer Information Stolen
- State Law Property Classifications Do Not Control “Like Kind” Determination
- LB&I Instructs on Insurance Companies’ Partial Worthlessness Deductions Under Sec. 166(a)(2)
- IRS Provides Relief for Hurricane Sandy Victims
- Contract With Related For-Profit Entity Disqualifies Exemption
- IRS Offers Guidance on Accounting for Black Liquor Credit Repayments
- IRS Illustrates Employee Reimbursement Plans
- IRS Issues Guidance on Corporate Equity Reduction Transactions
- Key Aspects of the New Tangible Property Regulations
- When Is a Foreign Tax Creditable Under Sec. 901?
- IRS Announces Abatements of Frivolous Filing Penalty
- Excluding and Rolling Over Gain on Disposition of Qualified Small Business Stock
- Corporation Sole Cannot Shelter Pastor From Tax Trouble