Mark Berg panelist for American Bar Association Business Law Section, Institutional Investors Committee webinar entitled “Being “Sort of Tax Exempt”: How a Partnership-Level Audit Might Expand a Tax-Exempt Investor’s Tax Liability”
The Deemed Repatriation Tax — A Bridge Too Far?
The Proposed Regulations Shine a Light on the Mysterious Nature of the Section 2801 Tax and its Intentions
Donee Liability for Unpaid Gift Taxes – Who Pays When the Gift is in Trust?
In Suprisingly Favorable Tax Ruling, New York "Statutory Residence" Rules Held Not To Apply To Portion Of Year A Part-Year Resident Is Domiciled In New York
Mark Berg published in Tax Notes, “Tax Planning in the ‘Economic Substance’ Era”
News & Notes