News bulletin issued by the IRSTrusts and Estates, November 2012The U.S. Department of the Treasury continues to build International support for combating offshore tax evasion and facilitating FATCA implementation
Pro bono spotlightFederal Taxation, November 2012Learn more about Andrew VanSingel and his work as Director of Prairie State Legal Services Low Income Tax Clinic.
Gift tax annual exclusion concerns when conveying business interestsBy Hugh F. DrakeTrusts and Estates, October 2012A recent Tax Court decision in Wimmer v. Commissioner holds that limited partnership interests gifted over a period of years qualified for the gift tax annual exclusion due to the receipt of income distributions from the partnership.
Due process tax nexus and the expatriate inter vivos trustBy Stanley R. KaminskiState and Local Taxation, September 2012Is it legal for the original domiciliary state to continue to impose an income tax on a now-expatriated trust, given the fact that the trust no longer has any contacts with the state?
Electronic filing safeguardsBy James CreechFederal Taxation, September 2012While electronic filing has made most taxpayer’s lives easier, it has also created issues with unauthorized filing of tax returns.
Gift tax annual exclusion concerns when conveying business interestsBy Hugh F. DrakeBusiness Advice and Financial Planning, September 2012A recent Tax Court decision in Wimmer v. Commissioner holds that limited partnership interests gifted over a period of years qualified for the gift tax annual exclusion due to the receipt of income distributions from the partnership.
ISBA Federal Tax Section Council goes to WashingtonBy James CreechFederal Taxation, September 2012On May 9th and 10th, 2012 the Federal Taxation Section Council made its annual trip to DC to advise our nation’s leaders on tax issues.
Tax reform policy considerationsBy Leonard S. DeFrancoFederal Taxation, September 2012A list of principles that the Federal Taxation Section Council believes should be adhered to as Congress tackles simplification of the tax code.
Taxation without borders: Allowing states to collect tax from out-of-state sellersBy Gregory A. ZbylutFederal Taxation, September 2012The proposals in this article offer a workable and sustainable solution to provide brick-and-mortar retailers some modicum of protection, without unduly burdening Internet retailers and discouraging further growth.
AT&T Teleholdings, Inc. v. Department of RevenueBy David P. DornerState and Local Taxation, August 2012In a Rule 23 Order, the appellate court ruled in favor of the Illinois Department of Revenue, holding that AT&T Teleholdings may not use the combined apportionment method to allocate its unitary business group’s 2002 net capital loss among its members for purposes of carrying back the loss to 1999, a tax year in which its members were members of different unitary business groups.
Cook County tobacco wholesalers succeed in limiting Cook County tobacco taxBy Elinor HarterState and Local Taxation, August 2012In Arangold Corporation v. Cook County, two local wholesale tobacco distributors were substantially successful in their action brought against the Cook County Department of Revenue challenging the constitutionality of the County’s broad expansion of the Cook County Tobacco Tax Ordinance.
Taxation of software licenses in Illinois: Is the “click” as mighty as the pen?By Paul G. Bogdanski & David P. DornerState and Local Taxation, January 2012In Illinois, the imposition of sales and use tax is statutorily limited to transfers of “ownership of” or “title to” tangible personal property in a retail transaction. Accordingly, unlike most other states, Illinois does not impose sales or use tax on the rental, lease or license of tangible personal property, since these type of transactions do not convey ownership or title tothe property being rented, leased or licensed.
The Illinois gift tax and a planning opportunity, perhaps?By Gary R. GehlbachTrusts and Estates, December 2011With the $5 million federal gift and estate tax exemption and the $2 million Illinois estate tax exemption, a popular planning technique is to have clients make substantial lifetime gifts, using some or all of their $5 million federal gift tax exemption.