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Proposed regulations provide FATCA compliance guidance for foreign financial institutions, other foreign entities and U.S. withholding agents
- McDermott Will & Emery
- -
- USA
- -
- March 27 2012
The U.S. Department of the Treasury and the Internal Revenue Service recently issued proposed regulations under Sections 1471 1474 of the Internal Revenue Code
Final regulations on partnership debt-for-equity exchanges
- McDermott Will & Emery
- -
- USA
- -
- November 22 2011
The U.S. Department of the Treasury recently issued final regulations providing helpful clarifications on the partnership and partner level tax consequences of debt-for-equity exchanges
FBAR filing deadline for extensions for certain individuals with signature authority
- McDermott Will & Emery
- -
- USA
- -
- June 29 2011
The Financial Crimes Enforcement Network (FinCEN), a division of the U.S. Treasury Department, and the Internal Revenue Service (IRS), recently issued three notices, FinCEN Notices 2011-1 and 2011-2 and IRS Notice 2011-54
Initial guidance on the US Foreign Account Tax Compliance Act
- McDermott Will & Emery
- -
- USA
- -
- November 22 2010
The Hiring Incentives to Restore Employment (HIRE) Act of 2010, which became US law on 18 March, largely incorporates the legislation previously circulated as the Foreign Account Tax Compliance Act (the FATCA provisions
IRS issues guidance that Treasury’s purchase of stocks will not result in ownership change under Section 382
- McDermott Will & Emery
- -
- USA
- -
- November 10 2008
Any purchase of financial institutions’ stocks under the Capital Purchase Program (CPP) by the U.S. Treasury Department will not result in ownership change
Relaxed REMIC requirements: IRS and Treasury efforts to address the subprime mortgage crisis
- McDermott Will & Emery
- -
- USA
- -
- October 16 2008
Expanded safe harbor rules allow real estate mortgage investment conduits (REMICs) and REMIC owners to modify certain residential mortgage loans while maintaining favorable tax status
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