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Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P.

901 Main Street, Suite 3700
Dallas, TX 75202

Phone: (214) 744-3700
Fax: (214) 747-3732
Toll Free: (800) 451-0093

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September 2016

The New Partnership Audit Rules- Turning The Taxation Of Partnerships Upside Down... [ read ]

September 19, 2016

PLI in New York and Califorina... [ read ]

September 17, 2016

Burnet County Conservation Workshop... [ read ]

September 16, 2016

ABA Regional WCC Event... [ read ]

September 16, 2016

IRS Will Once Again Rule on Corporate Business Purpose and Device Under §355... [ read ]
The IRS announced in Rev. Proc. 2016-45 that it will once again issue private letter rulings on issues of corporate business purpose and device under §355, after a hiatus of 13 years.

September 2, 2016

Statute of Limitations: The Taxpayer's Ultimate Defense in a Criminal Tax Case... [ read ]
In a previous post, I discussed the civil statute of limitations (SOL) the IRS has for assessing additional tax, penalties and interest against a taxpayer. In this post, I will briefly discuss the SOL for criminal tax cases and a recent case where the defendant effectively used the SOL as a defense.

August 31, 2016

IRS Rolls Over On Late IRA Rollovers... [ read ]
You are probably familiar with the idea of an IRA rollover. Generally, taxpayers can distribute assets from an IRA account, without an immediate tax consequence, provided that the assets are contributed to another IRA account within 60 days. The distribution is subject to tax, as well as a potential 10% early withdrawal penalty, if a taxpayer misses the 60-day deadline. The IRS may waive the deadline if it "would be against equity or good conscience" to enforce it. See I.R.C. §§ 402(c)(3)(B) or 408(d)(3)(I). Until last week, Revenue Procedure 2003-16 governed the procedure for granting waivers.

August 25, 2016

Panhandle Chapter/TSCPA Tax Institute... [ read ]