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International, Tax
Vicky Lu | 10.29.2020

IRS Releases New Proposed Partnership Schedules (K-2 and K-3) for International Tax Reporting

Learn more about the new proposed partnership schedules for international tax reporting released by the IRS.

S Corporation Rollover Equity – Involve Your CPA Early and Often

Learn more about structure considerations to make when selling your closely held or family-owned business.

2020 Election from a Tax Perspective

With the presidential election about two weeks away, we wanted to highlight President Trump and Democratic presidential candidate Joe Biden’s tax

Financial Boot Camp Series: Focus on What You Can Control to Increase After-Tax Performance

Learn how you can better control your portfolio's by increasing after-tax performance and the steps needed to increase your investment performance.
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A Closer Look at Meals and Entertainment Expenses

Two of the most common business expenses, and their related tax adjustments, are meals and entertainment expenses. Internal Revenue Code Section 274 governs

IRS Issues Final Regulations for Non-Grantor Trust Deductions

The IRS has issued final regulations on the deductions available to estates and non-grantor trusts. Under the Tax Cuts and Jobs Act, which was enacted

Updated 941-X, Adjusted Employer’s Quarterly Federal Tax Return or Claim for Refund

During the COVID-19 crisis, Form 941 was revised as new relief bills have offered opportunities for employers to qualify for credits and deferral of employment

IRS Provides Foreign Trust Reporting Requirements

The IRS has provided on its website a summary of reporting requirements for foreign trusts and their U.S. owners. Though these regulations are not new,
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IRS Issued Final Regulations on the GILTI High-Tax Exclusion

Are you a U.S. shareholder of a controlled foreign corporation (CFC)? The final regulation on Global Intangible Low-Taxed Income (GILTI) high-tax exclusion

Final 163(j) Regulations a Win for Manufacturers and Private Equity-Owned Businesses

In late July, the Internal Revenue Service (IRS) issued final regulations on Internal Revenue Code (IRC) Section 163(j) that limits the deductibility of
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