Editor: Rochelle Hodes, J.D., LL.M. Employer-provided health coverage is one of the most widely relied-upon tax-favored benefits in the Internal Revenue ...
The Tax Court held that rewards that a taxpayer received from cryptocurrency staking through a digital asset platform were ...
The complexities of redeeming a partner’s interest in a partnership with payments over multiple years are increased when the redeemed partner receives a promissory note.
Assumptions of receivables are usually straightforward, but debt transfers can in some instances be disallowed or even be considered abusive.
The rules for qualified small business stock become more complex when it is held through a pass-through entity or when the ...
Collaboration agreements, especially in the life sciences, sometimes unexpectedly transcend state boundaries, with consequences for companies’ apportionment and sales factor revenue sourcing.
State authorities are increasingly scrutinizing companies’ escheats information regarding sourcing, dormancy tracking, and owners.
Tax-exempt hospitals should reassess how they document, report, and defend their benefit to the community to support continued exemption under Sec. 501(c)(3).
A recent IRS letter ruling and Tax Court case illustrate, respectively, successful and unsuccessful positions regarding foreign investments in the United States as effectively connected income.
The following requirements must be met for a shareholder to qualify for the QSBS gain exclusion: Eligible corporation: The stock must be issued by a domestic C corporation other than a domestic ...
Undocumented immigrants venture to the United States from all parts of the world and endure enormous challenges in their new life, ranging from cultural ones to those that are language–oriented in ...