logo-tta
  • Sitemap
  • Issue Library -- The Tax Adviser
  • 2013
  • October 2013
  • IRS Tightens Penalty Relief
  • Taxpayer in Trade or Business of Being a “Private Attorney General”
  • Sec. 754 and Ground Leases
  • Earnings and Profits Computation Case Study
  • States Increase Enforcement of Unclaimed Property Laws
  • Debt and Proving Basis in Flowthrough Entities
  • Draft Net Investment Income Tax Form Posted
  • Foreign Citizen Denied Refund of Erroneously Withheld Taxes
  • Excluding Part of the Gain From the Sale of a Residence
  • Current Developments in S Corporations
  • IRS Clarifies Who Is Subject to 50% Limit on Meal and Entertainment Expenses
  • IRS Postpones FATCA Deadlines for Six Months, Posts Draft FATCA Report Form
  • Chief Counsel Disregards Indemnification Agreements Under Anti-Abuse Rules in Transactions That Result in Disguised Sales
  • Qualified Small Business Stock: An Opportunity for Tech Startups
  • Foreign Account Tax Compliance Act Update
  • Sec. 179 Deduction Limitation Applied to S Corps. in a Controlled Group
  • CPAs and Privileged Communications
  • R&D Tax Credits for Food and Beverage Companies
  • Sec. 199 Deduction and Contract Manufacturing Arrangements: Who Gets the Deduction?
  • Gambling Gains for Nonresidents Now the Same as for U.S. Residents
  • “At Least You Still Have Your Identity”
  • FATCA Withholding on Payments to Nonfinancial Foreign Entities: A Broad New Requirement
  • Recent Developments in Estate Planning: Part II
  • IRS Tackles Inefficiency in Its Examinations of Large Taxpayers


aicpa-logo-black

© Association of International Certified Professional Accountants. All rights reserved.