Aug 10 2016 |
Texas Comptroller’s Office Holds Roundtable on Proposed Regulation Targeting IT, Pharmaceutical Industries |
McDermott Will & Emery |
Aug 10 2016 |
IRS Proposes Regulations That Would Eliminate Most Valuation Discounts for Transfers of Interests in Family Entities |
Neal, Gerber & Eisenberg LLP |
Aug 9 2016 |
IRS Eliminates Requirement to Submit Copy of Section 83(b) Elections with Tax Return |
Proskauer Rose LLP |
Aug 9 2016 |
Employee Benefits: Review of IRS Section 409A Proposed Regulations |
McDermott Will & Emery |
Aug 8 2016 |
Section 83(b) Elections No Longer Required with Federal Income Tax Returns |
Morgan, Lewis & Bockius LLP |
Aug 5 2016 |
Proposed New IRS Rules for Valuing Interest in Family-Controlled Entities May Curb Discounts For Estate, Gift and Generation-Skipping Tax Purposes |
McDermott Will & Emery |
Aug 5 2016 |
August 2016 Tax Credits & Incentives Update |
Horwood Marcus & Berk Chartered |
Aug 4 2016 |
Michigan Supreme Court’s Decision Order in IBM Must be Followed |
Varnum LLP |
Aug 4 2016 |
Final Arbitrage Regulations Require “Look Through” to a Grantee’s Use of Bond Proceeds: A Big “So What?” |
Squire Patton Boggs (US) LLP |
Aug 4 2016 |
Profits Interest as Equity-Based Incentive: Keeping Your Team Motivated |
Varnum LLP |
Aug 4 2016 |
2016 Draft Forms & Instructions Released: Affordable Care Act Reporting Update |
Proskauer Rose LLP |
Aug 3 2016 |
Law School Professors File Amicus Briefs in Support of Commissioner’s Position in Altera |
McDermott Will & Emery |
Aug 3 2016 |
Proposed Treasury Regulations Provide Additional Flexibility, Clarity and Planning Opportunities to Sponsors of Deferred Compensation Arrangements |
Katten |
Aug 3 2016 |
Brexit, Privacy Shield, Greenhouse Gas, Tax Transparency: EU Policy Update August 2016 |
Covington & Burling LLP |
Aug 2 2016 |
IRS Announces Fines Paid to FINRA Are Not Deductible |
Morgan, Lewis & Bockius LLP |
Aug 1 2016 |
Issuance of IRS Estate Tax Closing Letters |
Holland & Hart LLP |
Aug 1 2016 |
Withholding Tax Contrary to EU Law: The Brisal Case |
Katten |
Aug 1 2016 |
Wittman v. Koenig, Another Decision on Annuity Exemptions - But Sometimes You Get What You Need |
Squire Patton Boggs (US) LLP |
Aug 1 2016 |
Proposed Changes to Form 5500 Reporting Requirements May Have Significant Impact on Retirement Plan Sponsors |
McDermott Will & Emery |
Jul 31 2016 |
IRS Clarifies Section 457 Exemptions for Bona Fide Severance Pay Plans and Other Benefit Plans |
Faegre Drinker |
Jul 28 2016 |
Tax Case Sparks Shareholder Derivative Suit |
McDermott Will & Emery |
Jul 28 2016 |
Proposed Regulations Under Section 355 Clarify Device and Active Trade or Business Requirements for Spin-offs |
Proskauer Rose LLP |
Jul 28 2016 |
IRS Tax Treatment of Wellness Program Benefits |
Heyl, Royster, Voelker & Allen, P.C. |
Jul 28 2016 |
Financing Themeparks: Bondholders of the Lost Ark |
Squire Patton Boggs (US) LLP |
Jul 28 2016 |
Unemployment Compensation Tax Per-Employee Surcharge Drops |
Dinsmore & Shohl LLP |
Jul 27 2016 |
IRS Clarifies Income Inclusion Rules in Section 50(d)(5) for Partnerships and S Corporations |
Bracewell LLP |
Jul 27 2016 |
Technology License Agreements: Arm’s Length Royalty Rates Save Medtronic from $1.36 Billion IRS Tax Deficiency |
McDermott Will & Emery |
Jul 26 2016 |
Investment Tax Credit Lessee Income Inclusion Guidance Issued |
McDermott Will & Emery |
Jul 26 2016 |
IRS Guidance Issued: Investment Tax Credit Lessee Income Inclusion |
McDermott Will & Emery |
Jul 26 2016 |
IRS Issues Proposed Rules on Income Inclusion under Section 50(d)(5) |
Foley & Lardner LLP |
Jul 26 2016 |
IRS Steps into Fray on Political Activities |
Covington & Burling LLP |
Jul 26 2016 |
Quick Guide to Section 338(h)(10) Elections |
Greenberg Traurig, LLP |
Jul 25 2016 |
Denial of Claimed Exemptions for Offshore Annuities: “You Can’t Always Get What You Want” |
Squire Patton Boggs (US) LLP |
Jul 25 2016 |
Proposed Internal Revenue Code Section 457 Regulations Have Arrived |
Bracewell LLP |
Jul 22 2016 |
A Summary of the Final Regulations on Non-Issue Price Arbitrage Restrictions |
Squire Patton Boggs (US) LLP |
Jul 22 2016 |
Pennsylvania Supreme Court Affirms “Title Wash” Tax Sale |
Steptoe & Johnson PLLC |
Jul 21 2016 |
New Electronic Form 8976 to Alert IRS About Section 501(c)(4) Status; 1023-EZ Application Reduced to $275 |
Proskauer Rose LLP |
Jul 21 2016 |
Protecting Confidential Taxpayer Information in Tax Court |
McDermott Will & Emery |
Jul 20 2016 |
DC Circuit Ruling Threatens to Topple FERC Tax Allowance Policy |
Morgan, Lewis & Bockius LLP |
Jul 20 2016 |
Tax Court Issues Five Discovery Orders Addressing Admissibility of Expert Reports |
McDermott Will & Emery |
Jul 20 2016 |
UK Government Confirms Introduction of New Cap on Interest Deductibility |
McDermott Will & Emery |
Jul 19 2016 |
Sales Tax Exemption for Manufacturing Held Inapplicable for Oil and Gas Equipment, but Questions Remain |
Bracewell LLP |
Jul 18 2016 |
IRS Issues Safe Harbors under Which the IRS Will Not Assert That a Corporation Lacks the Requisite ‘Control’ for Purposes of Section 355(a) |
McDermott Will & Emery |
Jul 18 2016 |
IRS Proposes Modifications to Proposed Income Inclusion Regulations under Section 409A |
Proskauer Rose LLP |
Jul 18 2016 |
Tax Court Order Indicates That E-Discovery and Predictive Coding Are Here to Stay |
McDermott Will & Emery |
Jul 16 2016 |
The U.S. Estate Tax Reaches the Century Mark |
ArentFox Schiff LLP |
Jul 16 2016 |
Breaking News: IRS Releases Final Arbitrage Regulations (Unrelated to Issue Price) |
Squire Patton Boggs (US) LLP |
Jul 15 2016 |
Physical Presence Requirement Bill Introduced in Congress |
McDermott Will & Emery |
Jul 15 2016 |
Proposed Changes to Section 409A are Welcome (for the Most Part) |
Jackson Lewis P.C. |
Jul 15 2016 |
Executive Compensation for Tax Exempt and Governmental Employers: Unraveling New Proposed Regulations on Non-Qualified Deferred Compensation Under Section 457 |
Holland & Hart LLP |