Current Law Journal Content
Washington & Lee Law School
Current Law Journal Content
an index to legal periodicals
Journal of Taxation
Volume 111, Number 4, October 2009
other issues
NEWSLINE
Late-breaking developments
p.195
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PROCEDURE
First Circuit in Textron gives IRS access to tax accrual workpapers
PHILIP N. JONES
p.199
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PARTNERSHIPS, S CORPORATIONS, & LLCs
Passive losses, LLCs and LLPs--two courts reject the Service's attempt to limit losses
SHELDON I. BANOFF AND RICHARD M. LIPTON
p.204
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Closely held companies: Now might be the best time to convert to tax partnership status
AARON P. NOCJAR
p.220
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COMPENSATION & BENEFITS
Executive compensation and corporate governance standards for TARP recipients
AMY POCINO KELLY AND CARRIE ROZES
p.230
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PERSONAL
Taxation of life settlements--unanswered questions after Rev. Ruls. 2009-13 and 2009-14
DAVID L. KELIGIAN AND ROBERT W. LARSEN
p.241
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LETTER RULINGS
Parent and subsidiaries cannot net interest rates
p.248
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Trustee's error in IRA distributions did not trigger penalties
p.249
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Transfer of stock portfolio to LLC was not taxable
p.250
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IRS validates "informal" refund claim despite various defects
p.250
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Professional services agreements did not cause bonds to meet private business use test
p.252
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SHOP TALK
General partners with zero percent current profits interests
p.255
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More on non-tax specialist ALJs in OPR sanction hearings
p.256
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