No M.B.A. LEFT BEHIND: PROFESSIONAL EDUCATION AS A BUSINESS EXPENSE IN ALLEMEIER v. COMMISSIONER.Published in:Tax Lawyer, 2006, v. 59, n. 3, p. 927By:Stolworthy Jr., Robert A.Publication type:Article
RIGHT WITHOUT REASON? THE CHECK-THE-BOX CORPORATE OF PARTNERSHIP ELECTION REGULATIONS CORRECTLY HELD VALID: LITTRIELLO v. UNITED STATES.Published in:Tax Lawyer, 2006, v. 59, n. 3, p. 913By:Rowe, William J.Publication type:Article
STRICT DIVESTITURE REQUIREMENTS IN SECTION 6324(a)(1): FIRST AMERICAN TITLE v. UNITED STATES AND THE HAZARD OF THE SPECIAL ESTATE TAX LIEN.Published in:Tax Lawyer, 2006, v. 59, n. 3, p. 901By:Quick, JeanettePublication type:Article
MAKING YOUR BUSINESS FLY ABOVE SECTION 183: FAIR SKIES FOLLOWING RABINOWITZ V. COMMISSIONER.Published in:Tax Lawyer, 2006, v. 59, n. 3, p. 887By:Frueauf, Jeremiah B.Publication type:Article
FALLACIES OF PRESUMPTION: UNPACKING THE IMPACT OF THE SECTION 409A PROPOSED REGULATIONS ON STOCK APPRECIATION RIGHTS ISSUED BY PRIVATELY-HELD COMPANIES.Published in:Tax Lawyer, 2006, v. 59, n. 3, p. 867By:Scott, Vanessa A.Publication type:Article
TAXING UNDOCUMENTED IMMIGRANTS: SEPARATE, UNEQUAL, AND WITHOUT REPRESENTATION.Published in:Tax Lawyer, 2006, v. 59, n. 3, p. 813By:Lipman, Francine J.Publication type:Article
ENTITY CLASSIFICATION AND CORPORATE RESIDENCE: CURRENT LAW AND PROPOSED ALTERNATIVES.Published in:2006Publication type:Book Chapter
ALTERNATIVES FOR REFORM OF THE INTERNATIONAL TAX RULES: EXEMPTING FOREIGN INCOME AND CURTAILING DEFERRAL.Published in:2006Publication type:Book Chapter
U.S. TAXATION OF A U.S. PERSON'S FOREIGN BUSINESS INCOME.Published in:2006Publication type:Book Chapter