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  • Salvatore Russo

    CFC Partners Required to Increase E&P for Subpart F Inclusions

    CFC Partners Required to Increase E&P for Subpart F Inclusions The upper-tier controlled foreign corporation (CFC) partners of a domestic partnership were required to include in gross income their distributive share of income inclusions under sub...Read More

  • Thomas Zanata

    Wolters Kluwer Interview: A Two-Part Q&A Series on the Section 199A Deduction (Part 1)

    Wolters Kluwer Interview: A Two-Part Q&A Series on the Section 199A Deduction (Part 1) Republicans’ 2017 overhaul of the tax code created a new 20-percent deduction of qualified business income (QBI), subject to certain limitations, for pass-th...Read More

  • Thomas Zanata

    Wolters Kluwer Interview: A Two-Part Q&A Series on the Section 199A Deduction (Part 2)

    Wolters Kluwer Interview: A Two-Part Q&A Series on the Section 199A Deduction (Part 2) Republicans’ 2017 overhaul of the tax code created a new 20-percent deduction of qualified business income (QBI), subject to certain limitations, for pass-th...Read More

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