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Davis Malm & D’Agostine
Phil outlines the Massachusetts Appellate Tax Board's decision in Welch v. Commissioner of Revenue and discusses how it could affect the taxation of income earned by nonresidents of Massachusetts.
Farrell Fritz, P.C.
It is not uncommon for a potential new client or even a new referral source to ask, "why would someone need to hire a tax attorney when they already have an ac­countant?" In many instances...
Greenberg Traurig, LLP
In Mukhi v. Commissioner of Internal Revenue, a collection due process case, the U.S. Tax Court considered multiple constitutional challenges to civil penalties...
Plunkett & Cooney
In an earlier blog post, we discussed options available to taxpayers facing a tax balance with either the Internal Revenue Service or one of the states.
Gray Reed & McGraw LLP
Intellectual property ("IP") development can cost millions of dollars so cost recovery timing can be financially material.
Greenberg Traurig, LLP
Florida's Live Local Act was amended during the 2024 legislative session to allow local governments to opt out of the middle-income affordable housing exemption...
Linklaters
The Infocast Solar + Wind Finance & Investment Summit, held on March 12, 2024, featured a distinguished panel, moderated by Linklaters' tax partner Michael Rodgers...
Theta Lake
The toggle tax is a concept introduced by Harvard Business Review to describe the amount of time users spend (and waste) toggling between their different workplace applications.
Caplin & Drysdale
More hiring and putting the Covid-19 pandemic in the rear-view mirror are paying off for the IRS unit that handles companies' advance tax deals on intercompany transactions.
K&L Gates
The Department of Treasury (Treasury) and the Internal Revenue Service (IRS) recently released regulations detailing how applicable entities (AEs) and electing entities (EEs) can utilize a new funding mechanism that allows a direct payment from the IRS for certain clean energy tax credits.
Greenberg Traurig, LLP
Host Nikki Dobay is joined by Jared Walczak, Vice President of Special Projects at the Tax Foundation. Jared catches Nikki up on Tax Foundation's impression of 2023...
Steptoe LLP
At the end of last year, Treasury and the IRS issued controversial proposed regulations to implement the new section 45V clean hydrogen production tax credit ...
Ruchelman PLLC
If a person thinks one thing but says another, what are others to believe? Statutory interpretation often favors the latter over the former.
Ruchelman PLLC
In the realm of taxation, keeping abreast of changes can make a significant difference in how companies and individuals manage their finances.
Plunkett & Cooney
When you owe the IRS or a state taxing authority back taxes, but you have limited means to pay them, it's always good to have options.
Ogletree, Deakins, Nash, Smoak & Stewart
With tax day quickly approaching on April 15, 2024, employers in Pennsylvania may want to take note of a December 2023 state tax law that might have flown under the radar.
Plunkett & Cooney
The IRS offers two important collection alternatives for individuals seeking freedom from tax debt. They are known as the "Offer-in-Compromise" and the status known as "Currently Not Collectible."
Steptoe LLP
Partner Lauren Azebu authored an article titled "Offshore and Out of Mind: Reporting Foreign Assets and Gifts" for The Tax Adviser.
Holland & Knight
In holding that that Treas. Reg. § 1.170A-14(g)(6)(ii) (Proceeds Regulation) is procedurally invalid under the Administrative Procedure Act (APA), the U.S. Tax Court abandoned...
Crowell & Moring LLP
Tax partner Carina Federico and Tax counsel Eleanor Moran McWaters discuss IRA and Tax Exempt Entities.
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