What Happened to My Joint IRS Income Tax Refund? The IRS’s Authority to Offset
By IRS Offset
Feb 15, 2022
Private Equity: Offshore Investments and Phantom Income
By Controlled Foreign Corporation (CFC), Corporate, Cross-Border Tax Insights, International Tax, Private Equity
Feb 14, 2022
OECD Issues Model Rules on Nexus and Sourcing
By Cross-Border Tax Insights, International Tax
Feb 12, 2022
Tax Court in Brief | Slone v. Commissioner
By Corporate, Tax Court, The-Tax-Court-in-Brief Insights
Feb 11, 2022
The Tax Court in Brief | Williams v. Commissioner
By Tax Court, The-Tax-Court-in-Brief Insights
Feb 11, 2022
The Tax Court in Brief | TBL Licensing LLC v. Commissioner
By Corporate, Cross-Border Tax Insights, International Tax, Tax Court, The-Tax-Court-in-Brief Insights
Feb 11, 2022
Charitable Remainder Unit Trust (“CRUTS”) and Cryptocurrencies
By Bitcoin, Blockchain, Cryptocurrency, Estate Planning, Trust
Feb 11, 2022
The Evolving Standard of “Willfulness” in FBAR Cases: Where are We Now?
By Cross-Border Tax Insights, FBAR, International Tax
Feb 10, 2022
The Tax Court, Restricted Stock, and ESOPs
By Corporate, Tax Court, The-Tax-Court-in-Brief Insights
Feb 08, 2022
Qualified Small Business Stock: One of the Code’s Most Significant (And Often Overlooked) Tax Breaks
By Corporate, Qualified Small Business Stock, Section 1202
Feb 06, 2022