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Why you need an estate plan post 2013 Tax Act
- Poyner Spruill LLP
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- USA
- -
- May 22 2013
Estate planning is the process of designating, during your life, the disposition of your assets upon your death in a manner that attempts to
Supreme Court settles Fifth Amendment required records issue in context of offshore bank accounts
- Baker & Hostetler LLP
- -
- USA
- -
- May 21 2013
On May 13, 2013, the Supreme Court denied a taxpayer's petition for certiorari regarding the Seventh Circuit's August 27, 2012, decision applying the
Government runs its record to 4-0 in compelling production of records of offshore bank accounts
- Baker & Hostetler LLP
- -
- USA
- -
- May 21 2013
On February 7, 2013, the U.S. Court of Appeals for the Eleventh Circuit joined "the three of our sister circuits that have considered the same issue
Indian American neurosurgeon sentenced to probation for unreported offshore bank accounts
- Baker & Hostetler LLP
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- USA
- -
- May 21 2013
On February 1, 2013, the U.S. District Court for the Eastern District of Wisconsin sentenced Arvind Ahuja, a Milwaukee neurosurgeon, to serve three
U.S. Senate committee criticizes Apple, Inc. offshore tax practices relationship to “Swiss principal” structures
- Kurtin PLLC
- -
- Ireland, Switzerland, USA
- -
- May 21 2013
On May 20, 2013, the U.S. Senate Permanent Subcommittee on Investigations published a memorandum criticizing the practices of consumer electronics
Tax Court allows some discount in valuing fractional interests in works of art
- Loeb & Loeb LLP
- -
- USA
- -
- May 20 2013
In Elkins v. Commissioner (Tax Court, March 11, 2013), the decedent had owned an art collection consisting of 64 pieces, some of which were paintings
President’s fiscal year 2014 budget contains numerous tax provisions
- Loeb & Loeb LLP
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- USA
- -
- May 20 2013
President Barack Obama released his proposed budget for the government's fiscal year 2014 on April 10, 2013, and, not surprisingly, the budget
Private letter ruling suggests that assets held in a grantor trust and not included in grantor’s estate may nevertheless receive a basis increase
- Loeb & Loeb LLP
- -
- USA
- -
- May 20 2013
In PLR 201245006, the IRS addressed a question that has been puzzling tax advisors for years. A person who was not a citizen or resident of the
Repeal of Indiana Inheritance Tax
- Taft Stettinius & Hollister LLP
- -
- USA
- -
- May 17 2013
For decedents dying after December 31, 2012, their estates will no longer be required to pay the Indiana Inheritance Tax that was previously imposed
FATCA
- Winston & Strawn LLP
- -
- USA
- -
- May 14 2013
On January 17, 2013, the Internal Revenue Service (“IRS”) issued the long awaited final regulations under the Foreign Account Tax Compliance Act
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