This article endeavors to help practitioners who are not partnership tax allocation experts identify when they should consult with those with that expertise. The partnership-allocation Treasury Regulations have been called a creation of prodigious complexity ... essentially impenetrable to all but those with the time, talent, and determination to become thoroughly prepared experts on the subject. This article is written for those, to date at least, without that time and determination. At the same time, the article provides an introduction to the partnership tax allocation rules for those contemplating making the requisite investment of time and determination. The term partnership, for purposes of this article, means a tax partnership. A...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
This Article highlights a flaw in the existing rules regarding partnership tax allocations that has ...
It has become increasingly common for partnerships to issue options that give the holder the right t...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article discusses the congressional directive of the Tax Reform Act of 1984 in which Congress d...
This article discusses the congressional directive of the Tax Reform Act of 1984 in which Congress d...
There is a growing awareness that federal tax law caters to a small number of wealthy and well-advis...
There is a growing awareness that federal tax law caters to a small number of wealthy and well-advis...
In 1954, Congress enacted the first comprehensive statutory treatment of partners and partnerships i...
In 1954, Congress enacted the first comprehensive statutory treatment of partners and partnerships i...
This article discusses Section 704 of the Internal Revenue Code and the 1984 proposed regulations r...
This article discusses Section 704 of the Internal Revenue Code and the 1984 proposed regulations r...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
This Article highlights a flaw in the existing rules regarding partnership tax allocations that has ...
It has become increasingly common for partnerships to issue options that give the holder the right t...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article endeavors to help practitioners who are not partnership tax allocation experts identify...
This article discusses the congressional directive of the Tax Reform Act of 1984 in which Congress d...
This article discusses the congressional directive of the Tax Reform Act of 1984 in which Congress d...
There is a growing awareness that federal tax law caters to a small number of wealthy and well-advis...
There is a growing awareness that federal tax law caters to a small number of wealthy and well-advis...
In 1954, Congress enacted the first comprehensive statutory treatment of partners and partnerships i...
In 1954, Congress enacted the first comprehensive statutory treatment of partners and partnerships i...
This article discusses Section 704 of the Internal Revenue Code and the 1984 proposed regulations r...
This article discusses Section 704 of the Internal Revenue Code and the 1984 proposed regulations r...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
Partnership Taxation is one of several releases from the LexisNexis Graduate Tax Series. This book c...
This Article highlights a flaw in the existing rules regarding partnership tax allocations that has ...
It has become increasingly common for partnerships to issue options that give the holder the right t...