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The information you obtain at this site is not, nor is it intended to be, legal advice. You should consult an attorney for individual advice regarding your own situation.

As required by United States Treasury Regulations and IRS Circular 230, you are advised that this message and any documents attached hereto (unless otherwise expressly stated in such document) are not intended or written to be used, and cannot be used by you or any person, for the purpose of avoiding penalties that may be imposed under federal tax laws.

          

IRS Suffers FLP Defeat in Mirowski

The Tax Court Finally Gets Hubert Right-Sort Of

Lurking Code Sec. 704(c) Issues When Making Code Sec. 704(b) Allocations

Allocating Deductions From Contingent Liabilities- Code Sec. 704(c) vs. Reg. 1.752-7

Sales vs. Redemptions of Partnership Interests

Issues to Consider Regarding Code Sec. 83(b) Elections

Living Trusts

Life Insurance: Irrevocable Life Insurance Trust (ILIT)

IRA and Retirement Plans: Tax-Deferred Arrangements

Gifting Assets: The $12,000 Yearly Exclusion

The Estate Tax Burden

Charitable Giving: Gifts of Appreciated Property

Brokerage Accounts: Basic Tax Principles for Joint Tenancy with Spouse & Joint Tenancy with Non-Spouse

SE Tax Planning for LLCs: How to Get the Wishbone

IRS Affirms Use of Partnership Gross Receipts to Solve S Corporation Passive Investment Income Problems

 

 


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