
Captive Insurance as Listed Transactions
In two separate posts over the past couple of years, we told you about the demise of Notice 2016-66 and the reporting requirements for so-called
In two separate posts over the past couple of years, we told you about the demise of Notice 2016-66 and the reporting requirements for so-called
In a battle between the Internal Revenue Service (IRS) and the State of Delaware, who wins? Well, in the context of a discovery dispute, a
It has come to our attention that the IRS recently sent a letter (Letter 6336) to all taxpayers who filed a Form 8886 in connection