- R&D Tax Credit Changes Benefit Small Businesses
- Asset Acquisition Target Ineligible for Success-Based Fee Safe Harbor
- Entity Classification Within the Foreign Context and the Tax Consequences of Sec. 987
- Will “A Better Way” for a Confident America Lead to Tax Reform?
- State and Local Tax Considerations for Inbound Foreign Entities
- Application of Partial Asset Dispositions and the De Minimis Safe Harbor
- Taxation of Gambling
- Tax Relief for Executive Compensation Clawbacks Under Proposed Dodd-Frank Rules
- Will Your Next Tax Appeal Be a Videoconference?
- Tax Court Needs to Do More Work in Interpreting Totalization Agreement
- Late Portability Elections After the Expiration of Rev. Proc. 2014-18
- Recent Developments in Estate Planning: Part 2
- IRS Revises Forms 1042-S and W-8BEN-E for 2016
- Managing Sales and Use Tax Risk Through a Policy and Procedure Review
- Third-Party Borrowing and the Sec. 385 Prop. Regs.: End-Around or Hail Mary?
- Estate Valuation Discounts Would Be Prohibited Under Proposed Regulations
- A Glimpse Into the New Partnership Audit Rules
- The Front-End Straw Man and the Build-to-Suit Exchange
- The Ins and Outs of Owning a Losing Investment in an IRA
- Final Regulations Govern Money-Market Funds
- DOL’s Final Overtime Rule Has Traps for the Unwary
- Foreign Information Returns, Income Tax Returns, and Civil Penalties
- IRS Proposes Rules for Reporting and Claiming Tuition Expenses
- PATH Act Changes to ITIN Renewals Explained
- IRS Provides Rules for Early Election of New Partnership Audit Procedures
- Advantages of an Optional Partnership Basis Adjustment
- Online Poker Accounts Not Subject to FBAR Reporting
- New PATH Rules Require Sec. 501(c)(4) Organizations to Notify the IRS