An Internal Revenue Code (IRC) Section 338 election is often advantageous for buyers in corporate acquisitions. Sec. 338 permits a corporation that...
Recent legislation has put a renewed emphasis on the benefits of cost segregation studies. Companies are often interested in ways to reduce cash...
Valuation plays a critical role in international mergers and acquisitions. In this issue of the Insight, we provide examples of cross border...
There are a number of ways to structure an asset acquisition. However, it is important to be aware that different methods offer certain tax...
There are many circumstances where it is beneficial for a multinational corporation to choose the fair market value (FMV) election as allowed under...
In recent years, many U.S. firms have chosen to invest overseas, often because of lower labor costs and favorable tax rates. Foreign direct...
Canada, like the United States and other countries that follow the Organization for Economic Cooperation and Development (OECD) guidelines, bases its...
Corporate acquisitions can be structured in a number of ways. However, buyers should be aware that the method selected can offer certain tax...
Generally, when a taxpayer is relieved of a debt obligation, income must be recognized. However, certain exceptions apply and for insolvent companies...
In 2009, corporate tax matters came to the forefront as the Obama administration made tax issues a top priority. While the Administration’s tax...