After briefly reviewing the so-called abusive aspects of tax shelters which led Congress to enact the Tax Reform Act of 1976, the authors focus on an unintended loophole-the tax shelter proprietorship. The tax shelter proprietorship remains a viable method of reducing federal income taxes payable by high bracket taxpayers. The business mechanics and tax aspects of a sound recording proprietorship are analyzed and specific suggestions for future reforms to deal with the problem of tax shelter proprietorships are delineated
Most previous legislative attacks on corporate tax shelters have targeted specific transactions and ...
There continues to be heated discussion about tax reform in the area of real estate tax shelters. In...
Tax shelters have proliferates in the United States not only because of financial innovation, the gl...
During 1976, Congress placed some severe restrictions on tax shelter investments. In addition, even ...
During the past decade, tax shelter investments were among the most controversial planning devices u...
Tax shelters, once thought to be extinct due to the at-risk and passive activity loss rules, continu...
It is abundantly clear to those in the press and on Capitol Hill that the provisions of the new Tax ...
The Tax Reform Act of 1976 was the most significant amendment of the Internal Revenue Code since its...
The Tax Reform Act of 1976 made sweeping changes in the area of tax shelters. Real estate tax shelte...
Coven argues that the rules extending nonrecognition treatment to the incorporation of property neve...
This article describes the ongoing legislative and administrative efforts to curtail tax shelters. I...
Paul Daugerdas gained notoriety for himself and his erstwhile firm, Jenkens & Gilchrist, as the desi...
This Comment will examine the history of nonrecourse financing and tax shelters from the fabled Cran...
In the 1990’s and early 2000’s the tax landscape in the United States was overrun by an epidemic of ...
Structural features of the federal income tax system frequently make the same tax reduction\u27 more...
Most previous legislative attacks on corporate tax shelters have targeted specific transactions and ...
There continues to be heated discussion about tax reform in the area of real estate tax shelters. In...
Tax shelters have proliferates in the United States not only because of financial innovation, the gl...
During 1976, Congress placed some severe restrictions on tax shelter investments. In addition, even ...
During the past decade, tax shelter investments were among the most controversial planning devices u...
Tax shelters, once thought to be extinct due to the at-risk and passive activity loss rules, continu...
It is abundantly clear to those in the press and on Capitol Hill that the provisions of the new Tax ...
The Tax Reform Act of 1976 was the most significant amendment of the Internal Revenue Code since its...
The Tax Reform Act of 1976 made sweeping changes in the area of tax shelters. Real estate tax shelte...
Coven argues that the rules extending nonrecognition treatment to the incorporation of property neve...
This article describes the ongoing legislative and administrative efforts to curtail tax shelters. I...
Paul Daugerdas gained notoriety for himself and his erstwhile firm, Jenkens & Gilchrist, as the desi...
This Comment will examine the history of nonrecourse financing and tax shelters from the fabled Cran...
In the 1990’s and early 2000’s the tax landscape in the United States was overrun by an epidemic of ...
Structural features of the federal income tax system frequently make the same tax reduction\u27 more...
Most previous legislative attacks on corporate tax shelters have targeted specific transactions and ...
There continues to be heated discussion about tax reform in the area of real estate tax shelters. In...
Tax shelters have proliferates in the United States not only because of financial innovation, the gl...