Circular 230 Disclaimer & Other Disclosures

To ensure compliance with requirements imposed by the IRS, we inform you that any U.S. federal tax advice contained in this communication (including any attachments) is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding tax-related penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or tax-related matter(s) addressed herein.

This blog is personal, reflects my own views and not the views of my employer, and has not be reviewed by my employer for completeness or accuracy.

Sunday, August 29, 2010

SubChapter M Tax: Draft law to implement UCITS IV Directive and amend tax rules presented from World Tax Advisor

SubChapter M Tax: Draft law to implement UCITS IV Directive and amend tax rules presented from World Tax Advisor

SubChapter K Tax: late election to be a partnership - IRS private letter ruling 201033024

SubChapter K Tax: late election to be a partnership - IRS private letter ruling 201033024

SubChapter K Tax: securities contributions, including those from a RIC - IRS private letter ruling 201032003

SubChapter K Tax: securities contributions, including those from a RIC - IRS private letter ruling 201032003

SubChapter K Tax: late 754 election by a partnership - IRS Private Letter Ruling 201032001

SubChapter K Tax: late 754 election by a partnership - IRS Private Letter Ruling 201032001

SubChapter K Tax: late 754 election by a partnership - IRS Private Letter Ruling 201031006

SubChapter K Tax: late 754 election by a partnership - IRS Private Letter Ruling 201031006

SubChapter K Tax: late 754 election by a partnership - IRS Private Letter Ruling 201031005

SubChapter K Tax: late 754 election by a partnership - IRS Private Letter Ruling 201031005

SubChapter K Tax: Private Company Financial Reporting Panel Rejects Status Quo

SubChapter K Tax: Private Company Financial Reporting Panel Rejects Status Quo

Taxation of Real Estate Investment Trusts: treatment of property held by a REIT as foreclosure property under IRC 856(e) - IRS Private Letter Ruling 201033022

Taxation of Real Estate Investment Trusts: treatment of property held by a REIT as foreclosure property under IRC 856(e) - IRS Private Letter Ruling 201033022

SEC Urges Mutual Funds to Clarify Use of Derivatives

SEC Urges Mutual Funds to Clarify Use of Derivatives

Taxation of Real Estate Investment Trusts: qualifying assets of a REIT under IRC 856(c) - IRS Private Letter Ruling 201034010

Taxation of Real Estate Investment Trusts: qualifying assets of a REIT under IRC 856(c) - IRS Private Letter Ruling 201034010

Taxation of Publicly Traded Partnerships: Illinois law disallowed dividends paid deduction to a Publicly Traded Partners from State Tax Matters

Taxation of Publicly Traded Partnerships: Illinois law disallowed dividends paid deduction to a Publicly Traded Partners from State Tax Matters

Thursday, August 5, 2010

Taxation of Real Estate Investment Trusts: Request for a REIT for an Extension of Time to File Form 3115 Application for Change in Accounting Method - IRS Private Letter Ruling 201030023

Taxation of Real Estate Investment Trusts: Request for a REIT for an Extension of Time to File Form 3115 Application for Change in Accounting Method - IRS Private Letter Ruling 201030023

SubChapter M Tax: Federal Regulation of Securities: Task Force on Investment Company Use of Derivatives and Leverage

SubChapter M Tax: Federal Regulation of Securities: Task Force on Investment Company Use of Derivatives and Leverage

SubChapter M Tax: SEC Seeks Limits on Funds' 'Ongoing Sales Charges' - WSJ.com

SubChapter M Tax: SEC Seeks Limits on Funds' 'Ongoing Sales Charges' - WSJ.com

SubChapter M Tax: Subject: Hedge Accounting For Floating-To-Fixed Swap - IRS Private Letter Ruling 201028039

SubChapter M Tax: Subject: Hedge Accounting For Floating-To-Fixed Swap - IRS Private Letter Ruling 201028039

SubChapter M Tax: Investment Companies - AICPA Audit and Accounting Guide

SubChapter M Tax: Investment Companies - AICPA Audit and Accounting Guide

SubChapter M Tax: SEC Urges Mutual Funds to Clarify Use of Derivatives

SubChapter M Tax: SEC Urges Mutual Funds to Clarify Use of Derivatives

SubChapter M Tax: Qualifying Income from Commodity Linked Notes & Income from a CFC under 851(b)(2) - IRS Private Letter Ruling 201030004

SubChapter M Tax: Qualifying Income from Commodity Linked Notes & Income from a CFC under 851(b)(2) - IRS Private Letter Ruling 201030004
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