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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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Archive by Month

  • IRS Rolls Over On Late IRA Rollovers

    By on August 31, 2016

    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.

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  • IRS Releases Procedure for Amending a Streamlined Submission

    By on August 25, 2016

    On July 18, 2016, the IRS released for the first time the procedure for amending a streamlined submission, as part of ongoing updates to its Frequently Asked Questions for U.S. Taxpayers Residing in the United States and for U.S. Taxpayers Residing Outside the United States .

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  • Existing Oil Tax Credit Available for First Time in a Decade

    By on August 12, 2016

    Since 2006, the enhanced oil recovery credit ("EORC") has been unavailable to taxpayers who operate in the energy sector. However, recent reductions in the realized prices of oil have once again made the EORC relevant for tax year 2016.

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  • Without Further Ado, The Proposed Regulations Under Section 2704

    By on August 4, 2016

    Two days ago, the Treasury released the much-awaited proposed regulations under § 2704. If finalized in their current form, they will likely drastically change the landscape of estate planning with family controlled entities by severely curtailing (if not eliminating) minority and marketability discounts largely predicated on liquidation restrictions. Some of the major changes include the closing of perceived loop holes in § 2704's definition of applicable restrictions; namely, state law restrictions, assignee interests, and interests held by nonfamily members.

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  • The IRS Takes a Small but Important Step in Clarifying the New Partnership Audit Rules

    By on August 4, 2016

    Late last year, Congress passed legislation that sought to remove and replace the current audit rules for partnerships under TEFRA. The new rules apply to make the partnership entity liable for taxes and penalties due on the income and expense adjustments that the IRS makes to a partnership's return. Today the IRS issued its first set of interpretative temporary regulations offering needed (albeit limited) guidance regarding the new partnership audit regime.

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  • Debt Restructuring Can Cause Cancellation of Indebtedness Income

    By on August 4, 2016

    A possibility discussed in our May 6, 2016 Meadows Collier Talks Tax Blog post, "Master Limited Partnerships and Cancellation of Indebtedness Income," has come to pass. Atlas Resources is the last in a series of Master Limited Partnerships which are renegotiating their debts to third parties and vendors.

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  • Do You Have an "All Cash" Real Estate Deal in San Antonio or Bexar County, Texas? Additional Government Disclosures May Be Required

    By on August 1, 2016

    The Financial Crimes Enforcement Network (FinCEN) issued a new Geographic Targeting Order (GTO) that requires U.S. title insurance companies to identify the natural persons behind companies used to pay "all cash" for high-end residential real estate in six major metropolitan areas. FinCEN is monitoring whether real estate transactions involving "all cash" (i.e. without bank financing) in deals where the purchasers are limited liability companies, or other business structures that are not transparent, are being used to hide assets related to possible criminal activity.

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  • The Statute of Limitations for Assessment: The Taxpayer's Ultimate Defense to the IRS' Assessment of Additional Tax

    By on August 1, 2016

    One of the questions taxpayers regularly ask is: How long does the IRS have to propose and assess additional tax? Or as some taxpayers put it, " How long before I can be sure I am safe from the IRS"? In this blog post, I will discuss the general rules relating to the statute of limitations (SOL) on assessment and the exceptions to the general rule.

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Contact Us

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