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U.S. Tax Court
- Microcaptive Promoter Celia Clark Settles IRS Promoter PenaltiesForbes
- Partnership Transactions Lacking Economic Substance or Business Purpose: Investor Bewarejdsupra.com
- Monetizing Renewable Credits Part II - Final Regulations on Transfers of Renewable Creditsjdsupra.com
- Missing the Tax Court’s 90-Day Deficiency Deadline – Now What?jdsupra.com
- Tax Court Upholds IRS Decision That Premiums Paid to Microcaptive Insurance Companies Did Not Qualify for Tax Deductionsjdsupra.com
- IRS Cannot Offset Taxpayer’s Refund With A Disputed Tax Liabilityjdsupra.com
- Captive Manager Avoids 6700 Penalties After Jury TrialForbes
- Trust Fund Recovery Penalty & The Closely Held Businessjdsupra.com
- What’s A U.S. Trade Or Business? Analyzing The U.S. Tax Court’s Decision In YA GlobalForbes
- Client Alert: Update: How "Profits Interest" Works And Why Knowing That Can Matter A Whole Lotjdsupra.com
- Opportunities Exist to Challenge Taxpayers’ Penalty Assessments for Failure to Report Large Foreign Giftsjdsupra.com
- U.S. Tax Court Holds Bond Financing Costs Are Includible in LIHTC Basisjdsupra.com
- Certain Insights on Important 2023 Tax Cases for Private Fundsjdsupra.com
- Why You Should Not Automatically File A Tax Court PetitionForbes
- Hot Topics for Private Clients and Family Offices from 2024 Heckerling Institute on Estate Planning – Part Onejdsupra.com
- Shareholder-Transferee Liability for a Corporation’s Income Taxjdsupra.com
- ‘As Such’: Soroban Case Puts Limited Partnerships Under Tax Scrutinyjdsupra.com
- The Fine Print: IRS Examination of Artworkjdsupra.com
- U.S. Tax Court: Limited Partner SECA Exception Requires Functional Analysisjdsupra.com
- Intercompany Loan Treated As Constructive Distribution and Contributionjdsupra.com
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