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The Practical Tax Lawyer - February 2011

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Mandatory Disclosure Of Uncertain Tax Positions On Income Tax Returns Filed By Corporate Taxpayers: The IRS’s New Weapon (20 pp)
By Jerald David August

Professional Practice Transitions, Section 197, And The Anti-Churning Rules (6 pp)
By Mark P. Altieri, William P. Prescott, and Phillip Thornton

Contribution Of Appreciated Property To A Partnership: More Than Just A Nice Credit To The Capital Account (10 pp)
By Walter R. Rogers, Jr.

So You Thought Your Proceeds Belonged To You? The Interplay Between Like-Kind Exchanges Under The Tax And Bankruptcy Codes (12 pp)
By Kevin J. Funk

Choice Of Forum In Federal Civil Tax Litigation (Part 1) (10 pp)
By Gerald A. Kafka

Taxing Decisions--In My Father’s House There Are Many Mansions (2 pp)
By Mark T. Carroll

Table of Contents (1 pp)

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