Video
A recap of the final carried interest regulations for asset managers
In this short video, we bring you up to date on the final carried interest regulations and give guidance on actions fund managers may take.
In this short video, we bring you up to date on the final carried interest regulations and give guidance on actions fund managers may take.
Final section 864(c)(8) regulations clarify rules for foreign partners with ECI from transfers of partnership interests.
IRS has issued two campaigns for Life Insurers and issues regulations on the calculation of life insurance reserves under section 807(d).
IRS releases a statement announcing that the application period for the CAP program is now open to qualifying corporations for 2021.
The IRS updated taxpayers on its operations status and recognized the delays in processing check payments due on July 15, 2020.
This webcast will discuss carried interest regulations and what the proposed rules mean for investment fund managers.
Proposed carried interest regulations are mostly as expected with a few new items and detailed computational rules.
Changes to NOL rules under the TCJA and CARES Act are implemented for consolidated corporate groups under new proposed regulations.
The CARES Act includes beneficial tax relief. Coupled with sophisticated planning, now is the time to revisit your individual tax strategy.
Securities and Exchange Commission has provided some relief to regulated investment companies, but Internal Revenue Service has yet to act.
Corporate taxpayers filing a consolidated return have an added layer of rules to navigate when carrying back a net operating loss.
The five-year carryback rule applies to insurance companies, both life and non-life, although both categories are singled out in the Act.
The IRS provided long-awaited guidance for taxpayers anxious to take advantage of the NOL provisions in the CARES Act.
Recent guidance provides that certain deadlines, including the allowable time to invest in a QOF, are now extended because of COVID-19.
The IRS issued guidance extending the time for taxpayers to file certain Form 3115s and Form 1128s to July 15, 2020.
As businesses renegotiate debts in the aftermath of COVID-19, it is critical to understand whether the debt is considered publicly traded.
Favorable rule for corporate stock acquisitions where life insurance contracts are less than 50 percent of the target corporation’s assets.
Advance tax planning can maximize shareholder value and help avoid any tax pitfalls or unnecessary marks to your purchase price.
Carried interest is always a hot topic in partnership taxation. Is change coming and, if so, what might it look like?
Understand the risks associated with valuing carried interest transfers.