Resources Archive
May 25, 2017
Wichita Falls Chapter/TSCPA... [ read ]
May 24, 2017
North Texas Chapter of the American Academy of Attorney-CPA's... [ read ]
May 23, 2017
Texas Bank and Trust Seminar... [ read ]
May 23, 2017
Golden Opportunities - Maximizing Long-Term Capital Gain Treatment and Deferral of Taxable Gain Recognition from Partnership Sales...
[ read ]
It is commonly known that sales of partnerships can give rise to ordinary income (subject to a current maximum tax rate of 39.6%) and long-term capital gain (subject to a current maximum tax rate of 20%). This is true regardless of whether the transaction consists of the partnership's sale of its assets or the partners' sale of their ownership interests in the partnership. Tax professionals can assist their clients in maximizing the long-term capital gain recognized from a sale of a partnership by negotiating an allocation of more of the sales proceeds to long-term capital gain assets and less of the sales proceeds to "hot assets," such as inventory, accounts receivables, and depreciation recapture.
May 19, 2017
NAPAC... [ read ]
May 19, 2017
Community and Separate Property Regimes: Educating the Mobile Client and the Multijurisdictional Attorney... [ read ]
May 15, 2017
TSCPA Fraud & Enterprise Risk Conference... [ read ]
May 12, 2017
Dallas CPA Society Convergence - May 12, 2017... [ read ]
May 9, 2017
Texas Bank and Trust Seminar... [ read ]
May 5, 2017
IRS Extends Disclosure Deadline for Newly "Listed" Syndicated Conservation Easement Deals...
[ read ]
At the close of 2016, the IRS' contempt for syndicated conservation easement deals reached its peak with the IRS identifying such transactions as "listed transactions." See prior MC Talks Tax blog post dated December 27, 2016, "The IRS Adds Conservation Easements to the List of Tax Avoidance Transactions."
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