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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.

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Monday, December 27, 2010

SubChapter M Tax: ICI - Congress Passes RIC Modernization Act of 2010

SubChapter M Tax: ICI - Congress Passes RIC Modernization Act of 2010

SubChapter M Tax: Tax News & Views House OKs Obama-GOP tax cut compromise; president's approval expected

SubChapter M Tax: Tax News & Views House OKs Obama-GOP tax cut compromise; president's approval expected

SubChapter M Tax: ICI - Congress Passes RIC Modernization Act of 2010

SubChapter M Tax: ICI - Congress Passes RIC Modernization Act of 2010

SubChapter M Tax: Tax News & Views Senate approves White House-GOP tax cut compromise

SubChapter M Tax: Tax News & Views Senate approves White House-GOP tax cut compromise

SubChapter M Tax: ICI - ICI Letter to IRS on Preparer Tax Identification Number ("PTIN") Requirements for Persons Preparing RIC Tax Returns

SubChapter M Tax: ICI - ICI Letter to IRS on Preparer Tax Identification Number ("PTIN") Requirements for Persons Preparing RIC Tax Returns

SubChapter M Tax: IRS 2010-2011 Priority Guidance Plan

SubChapter M Tax: IRS 2010-2011 Priority Guidance Plan

SubChapter M Tax: ICI - IRS and Treasury Release 2010-2011 Priority Guidance Plan

SubChapter M Tax: ICI - IRS and Treasury Release 2010-2011 Priority Guidance Plan

SubChapter M Tax: Tax News & Views Transition guidance issued for foreign tax credit splitter legislation

SubChapter M Tax: Tax News & Views Transition guidance issued for foreign tax credit splitter legislation

SubChapter M Tax: IRS Guidance on Splitter Transactions relating to Foreign Tax Credits - IRS Notice 2010-92

SubChapter M Tax: IRS Guidance on Splitter Transactions relating to Foreign Tax Credits - IRS Notice 2010-92

SubChapter M Tax: Drinker Biddle - Publications - Investment Management Developments

SubChapter M Tax: Drinker Biddle - Publications - Investment Management Developments

SubChapter M Tax: Munis Take Hit on Possible End of BAB Program - WSJ.com

SubChapter M Tax: Munis Take Hit on Possible End of BAB Program - WSJ.com

SubChapter M Tax: Meet or Exceed: What’s the Best Way to Approach Dodd-Frank’s Data Requirements | Deloitte Debates | Deloitte Consulting

SubChapter M Tax: Meet or Exceed: What’s the Best Way to Approach Dodd-Frank’s Data Requirements | Deloitte Debates | Deloitte Consulting

SubChapter M Tax: Welcome to the Cost Basis Reporting Resource Center!

SubChapter M Tax: Welcome to the Cost Basis Reporting Resource Center!

SubChapter M Tax: final regulations (T.D. 9504) on the statutory requirement that stock brokers and mutual fund companies report basis and other information

SubChapter M Tax: final regulations (T.D. 9504) on the statutory requirement that stock brokers and mutual fund companies report basis and other information

SubChapter M Tax: Build America Bonds and Other State and Local Bonds: Timing of Issuing Bonds - IRS Notice 2010-81

SubChapter M Tax: Build America Bonds and Other State and Local Bonds: Timing of Issuing Bonds - IRS Notice 2010-81

SubChapter M Tax: Modification of Advice on Claimed Inadvertent Failure to Identify Section 1256 Contracts as Hedges - IRS Private Letter Ruling 201046015

SubChapter M Tax: Modification of Advice on Claimed Inadvertent Failure to Identify Section 1256 Contracts as Hedges - IRS Private Letter Ruling 201046015

SubChapter M Tax: Final Regs Issued Requiring Uncertain Tax Position Disclosure Statement

SubChapter M Tax: Final Regs Issued Requiring Uncertain Tax Position Disclosure Statement

SubChapter M Tax: Tax Cut Extension Enacted

SubChapter M Tax: Tax Cut Extension Enacted

SubChapter M Tax: Deloitte | Staying in place | Bush-era tax cuts | extenders | Tax

SubChapter M Tax: Deloitte | Staying in place | Bush-era tax cuts | extenders | Tax

SubChapter M Tax: Extension of time to file and Mixed Straddle Account election under 1092(b) - IRS Private Letter Ruling 201048017

SubChapter M Tax: Extension of time to file and Mixed Straddle Account election under 1092(b) - IRS Private Letter Ruling 201048017

SubChapter M Tax: Work Plan for the Consideration of IFRS into US Financial Reporting Progress Report

SubChapter M Tax: Work Plan for the Consideration of IFRS into US Financial Reporting Progress Report

SubChapter M Tax: Drinker Biddle - Publications - DOL Proposed Regulation Would Broaden the Definition of ERISA Fiduciary

SubChapter M Tax: Drinker Biddle - Publications - DOL Proposed Regulation Would Broaden the Definition of ERISA Fiduciary

SubChapter M Tax: Taxes on Transfers of Shares outside India - Deloitte World Tax Advisor

SubChapter M Tax: Taxes on Transfers of Shares outside India - Deloitte World Tax Advisor

SubChapter M Tax: Consent Dividends under IRC 565(a) - IRS Private Letter Ruling 201045004

SubChapter M Tax: Consent Dividends under IRC 565(a) - IRS Private Letter Ruling 201045004

SubChapter M Tax: AICPA Update on Disclosure of Uncertain Tax Positions

SubChapter M Tax: AICPA Update on Disclosure of Uncertain Tax Positions

SubChapter M Tax: Stock Dividends from a RIC or REIT and Deficiency Dividends - IRS Private Letter Ruling 201043031

SubChapter M Tax: Stock Dividends from a RIC or REIT and Deficiency Dividends - IRS Private Letter Ruling 201043031

SubChapter M Tax: Qualifying RIC Income from a CFC - IRS Private Letter Ruling 201043017

SubChapter M Tax: Qualifying RIC Income from a CFC - IRS Private Letter Ruling 201043017

SubChapter M Tax: Qualifying Income under 851(b)(2) from Commodity Linked Notes - IRS Private Letter Ruling 201043016

SubChapter M Tax: Qualifying Income under 851(b)(2) from Commodity Linked Notes - IRS Private Letter Ruling 201043016

SubChapter M Tax: Hedge Identification under 1.1275-6(e) - IRS Private Letter Ruling 201043004

SubChapter M Tax: Hedge Identification under 1.1275-6(e) - IRS Private Letter Ruling 201043004

SubChapter M Tax: Subpart F Income from a CFC as qualifying income under 851(b)(2) - IRS Private Letter Ruling 201042015

SubChapter M Tax: Subpart F Income from a CFC as qualifying income under 851(b)(2) - IRS Private Letter Ruling 201042015

SubChapter M Tax: Income Earned from a Wholly Owned CFC as Qualifying Income under IRC 851(b)(2) - IRS Private Letter Ruling 201042001

SubChapter M Tax: Income Earned from a Wholly Owned CFC as Qualifying Income under IRC 851(b)(2) - IRS Private Letter Ruling 201042001

SubChapter M Tax: Income from a CFC as Qualifying Income under IRC 851(b)(2) - IRS Private Letter Ruling 201041033

SubChapter M Tax: Income from a CFC as Qualifying Income under IRC 851(b)(2) - IRS Private Letter Ruling 201041033

SubChapter M Tax: income earned from investments in the commodity-linked notes as qualifying income to Fund under section 851(b)(2)(A) - IRS Private Letter Ruling 201031007

SubChapter M Tax: income earned from investments in the commodity-linked notes as qualifying income to Fund under section 851(b)(2)(A) - IRS Private Letter Ruling 201031007

SubChapter M Tax: Little Change, But Some Relief, in IRS' Final Cost-Basis Regs

SubChapter M Tax: Little Change, But Some Relief, in IRS' Final Cost-Basis Regs

SubChapter M Tax: Drinker Biddle - Publications - House Passes Major Reform of Investment Company Taxation Regime

SubChapter M Tax: Drinker Biddle - Publications - House Passes Major Reform of Investment Company Taxation Regime

SubChapter M Tax: No-Action Letter: Investment Company Institute Designated NRSROs (August 19, 2010)

SubChapter M Tax: No-Action Letter: Investment Company Institute Designated NRSROs (August 19, 2010)

SubChapter M Tax: Taxation of Real Estate Investment Trusts: Impact of IRC 301 & IRC 305 on Distributions by a REIT - IRS Private Letter Ruling 201039017

SubChapter M Tax: Taxation of Real Estate Investment Trusts: Impact of IRC 301 & IRC 305 on Distributions by a REIT - IRS Private Letter Ruling 201039017
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