Article 04 Dec 2023 Fenwick Writes Comment Letter On Notice 2023-63 On Amortization Of Specified Research Or Experimental Expenditures Under Section 174 United States Tax
Article 19 Sep 2023 Notice 2023-63 Proposes Comprehensive Guidance On The New R&D Capitalization Requirements United States Tax
Article 26 Jun 2023 Treatment Of Capitalized R&D Costs Under Section 174 On A Disposition Of IP: The Other Shoe To Drop United States Tax
Article 01 Feb 2022 Treasury Finalizes Foreign Tax Credit Regulations, Including Novel Jurisdictional Nexus (Attribution) Rule United States Tax
Article 13 Sep 2021 U.S. Tax Legislation Alert: Wyden Bill Proposes Major Changes To GILTI, Foreign Tax Credit And Other Rules United States Tax
Article 29 May 2020 Now Final §901(m) Regulations Relax Few Of The Rules From The Proposed Regulations United States Tax
Article 05 May 2020 COVID-19: Employment, Securities And Tax Considerations For Life Sciences Companies United States Coronavirus
Article 30 Jan 2020 Proposed Guidance On The Production Sourcing Rules Under New Section 863(b) United States Tax
Article 07 Jan 2020 Treasury And IRS Release Final And Proposed Foreign Tax Credit Regulations United States Tax
Article 02 Jan 2020 Qualified Small Business Stock: Common Faqs By Startup Founders And Investors United States Commercial
Article 24 Oct 2019 IRS Issues Long-Awaited Cryptocurrency Guidance In Revenue Ruling 2019-24 And New FAQs United States Technology
Article 16 Oct 2019 Proposed Section 382 Regulations Raise International Tax Issues For Post-Acquisition Restructuring United States Tax
Article 17 Jan 2019 Treasury And IRS Propose Welcome (And Some Unwelcome) Guidance On The Base Erosion And Anti-Abuse Tax United States Tax
Article 09 Jan 2019 The High-Taxed Exception And E&P Limitation To Subpart F Income United States Tax
Article 18 Dec 2018 The New Foreign Tax Credit Proposed Regulations – An Executive Summary United States Tax
Article 20 Sep 2018 Impact Of Tax Reform On The Purchase And Sale Of Controlled Foreign Corporations — Selected Considerations United States Commercial