Article 04 May 2023 Section 467 Leases: Maximizing Tax Benefits While Minimizing Bankruptcy Risks United States Real Estate
Article 17 Apr 2023 Funding Rule Under Notice 2023-2 Expands The Scope Of The Stock Buyback Excise Tax To Repurchases Of Stock Of Many Foreign Corporations United States Tax
Article 09 Aug 2022 The Book Minimum Tax, Pillar 2 And Creditable Foreign Income Taxes United States Tax
Article 02 Aug 2022 Inflation Reduction Act Of 2022: New Corporate Book Minimum Tax And Changes For Carried Interests United States Tax
Article 13 Sep 2021 SALT Deduction Workarounds Create M&A Structuring Opportunities United States Tax
Article 21 Jan 2021 New Final Regulations Issued Under Section 1061 Make Significant Changes Impacting 3-Year Holding Period On Carried Interests United States Tax
Article 15 Oct 2020 Treasury And The IRS Finalize Regulations On Withholding On The Disposition Of A Partnership Interest By A Foreign Partner United States Tax
Video 21 Aug 2020 Proposed Regulations Addressing Three-Year Carried Interest Rules: What You Need To Know To Preserve Long-Term Capital Gain Treatment United States Tax
Article 06 Aug 2020 IRS Proposes Carried Interest Rules Recharacterizing Certain Capital Gain In Connection With Profits Interests United States Tax