2000 Federal Tax ConferenceAugust 2000Presented by the ISBA Federal Taxation Section Friday, October 20 , 2000 ISBA Regional Office, 20 South Clark Street, Suite 900, Chicago
Center for Law and Human ServicesBy Karen V. KoleApril 2000The Center for Law and Human Services, one of the largest VITA (volunteer income tax assistance) 501(c)(3) in the country, has received funding to establish a law income taxpayer clinic.
Chairman’s cornerBy John B. TruskowskiOctober 2000At the September 8, 2000 meeting of the section council, we discussed a number of topics.
Chairman’s cornerAugust 2000As we begin a new year, I am very privileged and excited to serve as the chairman of the Federal Taxation Section Council.
Changes to the innocent spouse provisions: something old, something newBy Carlos A. SaavedraFebruary 2000Code section 6013(d)(3) establishes joint and several liability for married taxpayers filing a joint income tax return. "Innocent Spouse" provisions refer to those Code provisions that create exceptions to this joint and several liability.
Corporate partnership updateBy Michael L. EnglishOctober 2000The Service, in Letter Ruling 200030018, ruled that a trust created for the purpose of holding non-voting stock of an S corporation was an eligible shareholder under section 1361(c)(2)(A)(i).
Editor’s noteBy Michael L. EnglishFebruary 2000At the December 9, 1999 meeting of the Federal Taxation Section Council, it was announced that one of the members of the section council, Professor Karen V. Kole had accepted the position of Director of the Federal Tax Clinic of the Center for Law and Human Services (CLHS).
Estate and gift tax updateBy David R. ReidOctober 2000The innocent spouse provisions of IRC section 6015 provide relief to "innocent spouses."
Estate and gift tax updateBy Karen V. KoleApril 2000Decedent created a revocable living trust which became irrevocable when he died.
Individual income tax updateBy James S. ZmudaAugust 2000In Notice 2000-32, 2000-26 I.R.B., the IRS issued additional guidance and relief from the rule excluding certain hardship distributions from the definition of an "eligible rollover distribution."
Individual income tax updateBy James S. ZmudaFebruary 2000The Internal Revenue Service ("IRS") has announced that for business travel after 1999, the optional mileage allowance for owned or leased vehicles will be 32.5 cents a mile.
New rules for partnership mergersBy Beverly M. HelmJune 2000On January 11, 2000 the Treasury Department issued proposed regulations on federal income tax consequences of partnership mergers and divisions.
Procedure updateBy Carlos A. SaavedraAugust 2000U.S. Supreme Court confirms that, for refund purposes, remittances of wage withholding and estimated tax are deemed paid as of the normal due date of the income tax return.
Procedure updatesBy Carlos A. SaavedraApril 2000On December 7, 1999, the United States Supreme Court issued its opinion in Drye v. United States (No. 98-1101), 68 U.S.L.W. 4010 (Dec. 14, 1999), holding that a probate disclaimer did not defeat the reach of the federal tax lien over the disclaimed property.
Recent developments in estate and gift taxAugust 2000In Letter Ruling 200013041, the Service ruled that the personal representative of a taxpayer who died shortly after his wife properly disclaimed his interest in her IRA.
Transfers to trust not included in gross estateFebruary 2000The Ninth Circuit has reversed a Tax Court decision and held that property transferred by a decedent was excludable from his gross estate pursuant to IRC 2036(a).
Update on innocent spouse provisionsBy Carlos A. SaavedraOctober 2000The innocent spouse provisions of the Internal Revenue Code provide relief to a spouse from the joint and several liability of a joint return under Code section 6013(d)(3).