- Deductibility of transaction costs incurred by an indirectly acquired entity
- IRS issues guidance on treaty application to reverse foreign hybrids
- IRS removes associated-property rule from interest capitalization regulations
- Practical tax issues related to qualified reopenings
- Partner redemptions from ‘dry’ partnerships
- When is a QSub election considered timely filed?
- Pennsylvania Supreme Court invalidates Pittsburgh ‘jock tax’
- Death of an LLC member: Basic tax considerations
- CPA firm M&A tax issues
- Return preparer reliance on third-party tax advice
- Multistate corporate income taxes: An exercise in nexus and apportionment
- Penalties under codified economic substance doctrine upheld
- Refund suit dismissed because Flora full-payment rule not met
- Arthur J. Dixon Memorial and Jonathan Horn Distinguished Service awards
