Final regulations identifying certain partnership related-party “basis shifting” transactions as transactions of interest subject to the rules for reportable transactions, the IRS issued. Material ...
Some related-party 'basis shifting' arrangements are now considered 'transactions of interest' per the IRS's final regulations.
On December 23, 2024, the Tax Court ruled in Denham Capital Management LP v. Commissioner (T.C. Memo. 2024-114)[1], that limited partners that actively participated in the activities of a fund manager ...
The board’s governance and nominating committee will benefit from the general counsel’s briefing on the latest development ...
As Texas has emerged as the leader in battery storage growth, League City is poised to add two facilities to benefit the city's energy grid.
Guernsey has long been one of the world's premier jurisdictions for investment funds - There are a number of advantages for ...
Welcome to our 17th annual edition of the Top 10 business divorce cases featured on this blog over the past year. This ...
In Europe’s thriving startup ecosystem, the road from concept to success is laden with opportunities—and challenges. European ...
Every partnership has the potential to transform lives.” The breakfast discussion promises to bring together influential business minds to explore how corporate partnerships can simultaneously ...
International Public Partnerships Limited has executed a transaction to repurchase 150,000 ordinary shares at a weighted average price of 120.5 GBp per share on the London Stock Exchange ...
Hubbard practiced in a limited capacity Thursday due to a knee injury. Hubbard was listed as a non-participant on the Panthers' first Week 17 injury report Wednesday with rest, so it's unclear if ...