Publications
|
| Article |
Publication |
Date |
| IRS Issues Notice 2010-41 Outlining Regulations to be Issued that will Treat Domestic Partnerships as Foreign Partnerships under the Controlled Foreign Corporation Rules |
Practical International Tax Strategies, Volume 14, No. 9 |
2010 |
| IRS Continues Push Against Perceived Abuses in the International Arena by Redemptions through Controlled Corporations |
Practical U.S./International Tax Strategies, Volume 14, No. 3 |
2010 |
| IRS Permits Debt Treatment for Trust Preferred Securities with 'Significantly More' Equity Characteristics |
Practical U.S./Domestic Tax Strategies, Volume 9, No. 9 |
2009 |
| Obama Administration Takes Aim at Inversion Transactions with Enhanced Surrogate Foreign Corporation Rules |
Practical U.S./International Tax Strategies, Volume 13, No. 10 |
2009 |
| Corporate Spin-Offs, Split-offs and Split-Ups: IRS and Treasury Close a Trap for the Unwary |
Practical U.S./Domestic Tax Strategies, Volume 9, No. 2 |
2009 |
See all 5 publications
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