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Meadows, Collier, Reed, Cousins, Crouch & Ungerman, LLP
Meadows, Collier, Reed, Cousins, Crouch & Ungerman, LLP
Meadows, Collier, Reed, Cousins, Crouch & Ungerman, LLP
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Section 2704 Proposed Regulations Identified for Burden Reduction in IRS Report

August 1, 2017
By Meadows Collier, Blog

  I last provided an update on the proposed regulations under I.R.C. Section 2704 (the 2704 Proposed Regulations) on January 31, 2017, in which I covered President Trump’s then recent Executive...

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MLR Blog Post- U.S. Tax Court Decision Deals Blow to IRS on Taxation of U.S. Partnership Interests Held by Foreign Persons

July 25, 2017
By Matthew L. Roberts, Blog

At last year’s Annual Meadows Collier Tax Conference, my colleague, Stephen Beck, and I discussed some of the more recent hot topics in international tax law. During our discussions, we spoke of the current ambiguity in...

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The RESPECT Act: Will Congress Pass Legislation to Limit IRS Civil Forfeiture in “Structuring” Cases?

July 14, 2017
By Michael A. Villa, Jr., Blog

The RESPECT Act (H.R. 1843), also known as the Restraining Excessive Seizure of Property through the Exploitation of Civil Asset Forfeiture Tools Act, was originally introduced in the House of Representatives in March 2017....

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The Treasury Targeting the Recent Section 385 Debt-Equity Regulations (and Others) for Potential Repeal

July 12, 2017
By Meadows Collier, Blog

On Friday, July 7th, the U.S. Department of the Treasury (the “Treasury”) announced in Notice 2017-38 that it is targeting eight tax regulations for potential repeal (click here). Included in the eight targeted are the...

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Practical Suggestions for Effectively Representing a Taxpayer Before IRS Appeals

July 5, 2017
By Joel N. Crouch, Blog

In a previous blog (here), we discussed some suggestions for representing taxpayers in a IRS examination. In this blog, we discuss the next step, i.e., when the exam cannot be resolved and you must make a request for review...

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