Tax Law Defined™ Blog
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Maximizing Section 1202’s Gain Exclusion
January 17, 2024 | Blogs
The combination of the 21% corporate federal income tax rate and the possibility of qualifying for S...
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Let’s Talk About SaaS, Baby: Kentucky’s Recent Taxing of Software as a Service Compared With Its...
January 8, 2024 | Blogs
Recent Kentucky tax legislation continued to expand the landscape of services subject to sales and u...
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Kicking the Bottle Down the Road: Big Bourbon Breathes a Sigh of Relief
December 20, 2023 | Blogs
As a major update to our recent article, trade representatives for the European Union (EU) announced...
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Michigan Court of Claims Gives Taxpayers Clarity on Appeals Prerequisite of Paying Uncontested Porti...
December 8, 2023 | Blogs
As a prerequisite to the tax appeal process in Michigan, a taxpayer must pay the uncontested portion...
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Manufacturers Beware: The Impact of Stricter 163(j) Deductibility Amid Rising Interest Rates
November 17, 2023 | Blogs
The Tax Cuts and Jobs Act of 2017 (TCJA) introduced significant changes to the deduction of business...
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Kentucky Tax Talk: Clash Over Industrial Supplies Exemption
November 14, 2023 | Blogs
This article was originally published in Law360 Tax Authority. On Dec. 15, 2022, the Kentucky Supre...
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U.S. Supreme Court Passes on Dormant Commerce Clause Challenge
November 6, 2023 | Blogs
While some were speculating that a recent Kentucky severance tax case may lead to a new Dormant Comm...
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Conversions, Reorganizations, Recapitalizations, Exchanges and Stock Splits Involving Qualified Smal...
October 26, 2023 | Tax Law Defined™ Blog
Section 1202 provides for a substantial exclusion of gain from federal income taxes when stockholder...
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IRS Establishes Withdrawal Procedures for Questionable ERC Claims
October 24, 2023 | Blogs
On October 19, the Internal Revenue Service (IRS) announced the process for concerned employers to w...
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Application Portal for the Low-Income Communities Energy Investment Bonus Program Opens Oct. 19
October 12, 2023 | Blogs
Applications for the low-income communities bonus credit program (the “Bonus Program”) under Int...
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Introducing the QSBS Guidebook for Family Offices and Private Equity Firms
October 12, 2023 | Blogs
The combination of the 21% corporate income tax rate and the possibility of qualifying for Section 1...
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Kentucky Tax Talk: Taking Up the Dormant Commerce Clause
September 20, 2023 | Blogs
This article was originally published in Law360 Expert Analysis. The commerce clause of the U.S. Con...