Reports 2007

Tax Report, Letter and Appendix 1139 
Definition of "Tax Return Preparer" and Other Issues Under Code Sections 6694, 6695 and 7701(a)(36)

Tax Report and Letter 1138 
Proposed Consolidated Return Stock Loss Regulations

Tax Report and Letter 1137 
Final Regulations Regarding Allocation of Basis under Section 358 and Related Matters

Tax Report and Letter 1136 
Comments in Response to Notice 2007-39 Concerning Monetary Penalties for Certain Prohibited Conduct Under Circular 230.

Tax Report and Letter 1135 
Proposed Section 901 Regulations Relating to Compulsory Payments of Foreign Taxes

Tax Report and Letter 1134 
Responding to IR-2007-127, Request for Comments Regarding General Powers of Appointment Under IRC Section 2514

Tax Report and Letter 1133 
Relating to Restrictions Imposed on Offers and Sales of Bearer Bonds by the Tax Equity and Fiscal Responsibility Act of 1982 ("TEFRA").

Tax Report and Letter 1132 
Guidance under the Pension Protection Act of 2006

Tax Report and Letter 1131 
Disqualified Investment Corporations as Defined in Section 355(g).

Tax Report and Letter 1130 
Proposed Regulations Regarding Exchanges of Property for Annuities.

Tax Report and Letter 1129 
Responding to Notice 2007-21 Concerning Donor-Advised Funds and Supporting Organizations.

Tax Report and Letter 1128 
With respect to Tax Provisions of the New York State 2007 -- 2008 Budget Legislation (Chapter 60 of the Laws of 2007).

Tax Report and Letter 1127 
Model Income Tax Convention Released by the Treasury on November 15, 2006.

Tax Report and Letter 1126 
Material advisor rules

Tax Letter 1125 
Letter to Hon. Eliot Spitzer on the importance of interpretive and explanatory tax regulations

Tax Report and Letter 1124 
Differences in tax treatment of domestic and foreign partnerships