Archive for ‘Focus on IRS and Treasury’
EO Tax Journal 2022-62
1 – Editor’s Notebook
2 – Biden Administration’s Tax Proposals Limit Use of DAFs to Avoid Private Foundations’ Payout Requirement and Address Syndicated Conservation Easement Abuses
3 – Outlines for State Attorneys General Update Continue…
EO Tax Journal 2022-61
1 – Editor’s Notebook
2 – Employment Opportunity
3 – IRS Suspends Issuance of Several Delinquent Return Notices for Government Entities, Charities and Retirement Plans
4 – Money Received through ‘Crowdfunding’ May Be Taxable; Taxpayers Should Understand Their Obligations and the Benefits of Good Recordkeeping
5 – Rep. Pascrell Continues Crusade against High Coaches’ Salaries Continue…
EO Tax Journal 2022-59
1 – Editor’s Notebook
2 – May EO Committee Meeting Update
3 – Some Suggestions for Improving the Form 990 Continue…
EO Tax Journal 2022-57
1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – Upcoming EO Programs
4 – Response of NY Attorney General to Notice 2021-56
5 – Response of Texas Attorney General to Notice 2021-56 Continue…
EO Tax Journal 2022-56
1 – Editor’s Notebook
2 – Sixth Circuit: Regulations on Charitable Donation of Conservation Easement Upheld as Valid; Tax Court Affirmed
3 – Article of Interest
4 – IRS Provides Advice to Agents Conducting Syndicated Conservation Easement Exams
5 – IRS Opines that Automatic Revocation Provision in Section 6033(j)(1)(B) Is Not Contingent upon Satisfaction of the Notification Requirement in Section 6033(j)(1)(A) Continue…