• Home • Tax & Accounting Products • CPE • Customer Training • Tax & Accounting News • Support • Contact Us • About Us • Shop
LOCATE A SALES REP
SITE LOGIN/REGISTER CATALOG QUICK SHOP PRODUCT LOGIN
Practice Area: Treatises, Federal  Brand: WG&L,Checkpoint

Business Entity Treatises Library  
Email this page  | Print Product Details  | Bookmark this page 

The Business Entity Treatises Library is a premium complete tax analysis library offering expert guidance and strategies to the practitioner heavily involved with federal income tax planning. This grouping has strategic emphasis on the issues related to taxation of business organizations, in addition to the encyclopedic coverage of Bittker and Lokken.

Federal Income Taxation of Corporations & Shareholders
Chapter 1: Introductory
Chapter 2: Definition of "Corporation"
Chapter 3: Organization of a Corporation: Section 351 and
Related Problems
Chapter 4: Corporation's Capital Structure: Debt vs. Equity
Chapter 5: The Corporation Income Tax
Chapter 6: Corporate Elections Under Subchapter S
Chapter 7: Penalty Taxes on Undistributed Corporate Income
Chapter 8: Dividends and Other Nonliquidating Distributions
Chapter 9: Stock Redemptions
Chapter 10: Complete Liquidations and Other Taxable Dispositions of Corporate Stock and Assets in Bulk
Chapter 11: Corporate Divisions
Chapter 12: Corporate Reorganizations
Chapter 13: Affiliated Corporations
Chapter 14: Corporate Tax Attributes: Survival and Transfer
Chapter 15: Foreign Corporations and Foreign-Source Income

Federal Income Taxation of S Corporations
Chapter 1: History and Future of Subchapter S
Chapter 2: Uses of S Corporations
Chapter 3: Eligibility to Elect Under Subchapter S
Chapter 4: Mechanics of S Corporation Election
Chapter 5: Termination of Subchapter S Status
Chapter 6: Organization, Capitalization, and Shareholders' Agreements
Chapter 7: Taxation of Income, Losses, Deductions, and Credits
Chapter 8: Distributions
Chapter 9: Basis of Stock & Debt
Chapter 10: S Corporations in Partnerships and Limited Liability Companies
Chapter 11: Compensation
Chapter 12: Corporate Reorganizations and Divisions
Chapter 13: Liquidations, Redemptions, Sales, and Purchases
Chapter 14: Financially Distressed S Corporations and Shareholders
Chapter 15: Death of a Shareholder or Trust Beneficiary
Chapter 16: Procedural Matters
Chapter 17: Tax Pitfalls
Appendix A. Checklists and Forms
Appendix B. The Legislative History of Subchapter S

Federal Taxation of Income, Estates & Gifts
Chapter 1: History and Constitutional Limitations
Chapter 2: Basic Structure of Federal Income Tax
Chapter 3: Federal Income Tax Policy
Chapter 4: Interpreting the Internal Revenue Code
Chapter 5: Income--Basic Definitional Concepts
Chapter 6: Income--The Effect of Offsetting Liabilities
Chapter 7: Income From Discharge of Indebtedness
Chapter 10: Property Acquired by Gift and Inheritance
Chapter 11: Prizes, Awards, and Scholarships
Chapter 12: Life Insurance, Annuity, and Endowment Contracts and Employee Death Benefits
Chapter 13: Compensation for Personal Injuries and Sickness
Chapter 14: Fringe Benefits
Chapter 15: Tax-Exempt Interest
Chapter 16: Other Exclusions From Gross Income
Chapter 20: Expenses Incurred in Business and Profit-Oriented Activities
Chapter 21: Travel, Entertainment, and Business Gifts
Chapter 22: Specially Treated Business and Profit-Oriented Expenses
Chapter 23: Depreciation and Amortization
Chapter 24: Depletion
Chapter 25: Losses
Chapter 26: Other Business Deductions
Chapter 27: Business Credits
Chapter 28: At Risk and Passive Activity Limitations
Chapter 30: Personal Exemptions and Itemized Deductions
Chapter 31: Personal Interest
Chapter 32: Taxes
Chapter 33: Bad Debts
Chapter 34: Casualty Losses
Chapter 35: Charitable Contributions
Chapter 36: Medical and Dental Expenses
Chapter 36A: Other Personal Deductions [New]
Chapter 37: Personal Credits
Chapter 40: Realization of Gains and Losses--Taxable Events
Chapter 41: Original or Unadjusted Basis
Chapter 42: Adjusted Basis
Chapter 43: Amount Realized
Chapter 44: Nonrecognition Transactions
Chapter 45: Gains on Property Sales Excluded From Gross Income
Chapter 46: Taxation of Capital Gains and Losses--Basic Structure
Chapter 47: Definition of "Capital Asset"
Chapter 48: Sale or Exchange Requirement
Chapter 49: Holding Period
Chapter 50: Quasi--Capital Assets and Other Specially Treated Items
Chapter 51: Recapture of Depreciation and Other Allowances
Chapter 52: Deductions for Interest Expense
Chapter 53: Original Issue Discount
Chapter 54: Imputation of Interest in Sales and Exchanges of Property: Sections 483 and 1274
Chapter 55: Below-Market Loans Under § 7872
Chapter 56: Miscellaneous Time Value of Money Rules
Chapter 57: Derivative Financial Instruments
Chapter 59: Employee Compensation--Introductory
Chapter 60: Deferred Compensation Contracts, Stock Options, and Other Nonqualified Arrangements
Chapter 61: Qualified Retirement Plans--Basic Rules
Chapter 62: Qualified Retirement Plans--Special Types of Plans, Employers, and Employees
Chapter 63: Miscellaneous Employee Benefits
Chapter 64: Deductions for Employee Compensation
Chapter 65: Introduction and Classification of Individuals and Entities
Chapter 66: Special Rules for U.S. Persons
Chapter 67: Nonresident Aliens, Foreign Corporations, and Other Foreign Persons
Chapter 68: U.S. Possessions
Chapter 69: Controlled Foreign Corporations
Chapter 70: Other Rules Affecting U.S. Owners of Foreign Corporations
Chapter 71: Transfers to and by Foreign Corporations, Export Subsidiaries, and Other Special Problems
Chapter 72: Foreign Tax Credit
Chapter 73: Sources of Income
Chapter 74: Foreign Currencies
Chapter 75: Assignments of Income
Chapter 76: Effect of Community Property System
Chapter 77: Alimony and Child Support
Chapter 78: Disallowed and Deferred Deductions on Transactions Between Related Taxpayers
Chapter 79: Reallocation of Income and Deductions Among Related Taxpayers
Chapter 80: Grantor Trusts
Chapter 81: Nongrantor Trusts and Estates
Chapter 82: Special Classes of Trusts
Chapter 83: Foreign Trusts and Foreign Grantors
Chapter 84: Income and Deductions in Respect of Decedents
Chapter 85: Classification of Business Entities
Chapter 86: Partnership Status
Chapter 87: Partnership Allocations
Chapter 88: Partnership Distributions and Sales and Exchanges of Partnership Interests
Chapter 89: Transactions Between Partnerships and Partners; Optional Adjustments; Partnerships Terminations, Mergers, Consolidations, and Divisions
Chapter 90: Corporation Income Tax
Chapter 91: Corporate Capitalization
Chapter 92: Dividends
Chapter 93: Redemptions and Liquidations
Chapter 94: Corporate Reorganizations
Chapter 95: Other Rules Applying to Corporate Acquisitions
Chapter 96: Corporate Divisions
Chapter 97: Affiliated Corporations; Consolidated Tax Returns
Chapter 98: S Corporations
Chapter 99: Special Problems and Types of Corporations
Chapter 100: Charitable Organizations
Chapter 101: Private Foundations
Chapter 102: Other Exempt Organizations
Chapter 103: Business Activities and Unrelated Business Income
Chapter 104: Consumers' and Farmers' Cooperatives
Chapter 105: Cash and Accrual Accounting
Chapter 106: Installment Sales, Long-Term Contracts, and Other Special Problems
Chapter 107: Indirect Methods of Computing Income
Chapter 110: Internal Revenue Service
Chapter 111: Tax Returns, Rates, and Payments
Chapter 112: Audits, Deficiencies, and Refunds
Chapter 113: Statutes of Limitations
Chapter 114: Interest, Civil Penalties, and Tax Crimes
Chapter 115: Tax Litigation
Chapter 116: Tax Legislative Process
Chapter 120: Taxes on Estates, Gifts, and Generation-Skipping Transfers--Introduction
Chapter 121: The Transfer of Property by Gift
Chapter 122: Defective, Revocable, and Incomplete Transfers
Chapter 123: Marriage, Separation, and Divorce
Chapter 124: Annual Per-Donee Exclusion
Chapter 125: Property Owned by Decedent at Death
Chapter 126: Property Transferred by Decedent During Life
Chapter 127: Life Insurance
Chapter 128: Powers of Appointment
Chapter 129: Marital Deduction-- Bequests and Other Transfers to Surviving Spouse
Chapter 130: Charitable Deduction
Chapter 131: Other Deductions--Funeral and Administration Expenses, Claims, Debts, and Losses
Chapter 132: Computation of Gift and Estate Tax Liability
Chapter 133: Tax on Generation-Skipping Transfers
Chapter 134: Specially Treated Taxpayers: Nonresident Aliens, Residents of U.S. Possessions, and Tax Motivated Expatriates [Revised]
Chapter 135: Valuation of Property
Chapter 136: Estate Freeze Rules
Chapter 137: Estate, Gift, and Generation-Skipping Transfer Tax Procedure

Federal Taxation of Partnerships & Partners
Chapter 1: An Overview of Subchapter K
Chapter 2: Selection of the Form of Business Organization
Chapter 3: Defining Partnerships and Partners for Tax Purposes
Chapter 4: Receipt of a Partnership Interest in Exchange for a Contribution of Property
Chapter 5: Transfer of a Partnership Interest in Exchange for Services
Chapter 6: Determining the Basis of a Partner's Partnership Interest
Chapter 7: Basis Consequences of Partnership Liabilities
Chapter 8: Determining a Partner's Share of Partnership Liabilities for Basis Purposes
Chapter 9: Tax Accounting for Partnership Operations
Chapter 10: Determining the Partners' Distributive Shares
Chapter 11: Distributive Share Allocations in Connection With Shifts in the Partners' Interests
Chapter 12: Termination of a Partnership
Chapter 13: Transactions Between Partnerships and Partners
Chapter 14: Family Partnerships
Chapter 15: Sales, Exchanges, and Other Transfers of
Partnership Interests
Chapter 16: Transfers of Interests in Collapsible Partnerships
Chapter 17: Incorporation of a Partnership
Chapter 18: Bailing Out of Tax-Shelter Partnerships
Chapter 19: Distributions That Do Not Alter the Partners' Interests in Section 751 Property
Chapter 20: Post-Distribution Consequences to the Distributee
Chapter 21: Distributions That Alter the Partners' Interests in Section 751 Property
Chapter 22: Payments in Liquidation of the Interest of a Retired or Deceased Partner
Chapter 23: Special Problems Relating to the Death of a Partner
Chapter 24: Optional Adjustments to the Basis of Partnership Assets in Connection With Transfers of Partnership Interests
Chapter 25: Optional Adjustments to the Basis of Partnership Assets in Connection With Distributions of Partnership Assets
Chapter 26: Special Basis Adjustments in Connection With Distributions to Transferee-Partners: Section 732(d)

IRS Practice & Procedure
Chapter 0: Author's Note
Chapter 1: The IRS as an Administrative Agency
Chapter 2: Taxpayer Access to Information
Chapter 3: Statements of IRS Position and Practice
Chapter 4: Returns
Chapter 5: Statutes of Limitations
Chapter 6: Interest
Chapter 7A: Criminal Penalties
Chapter 7B: Civil Penalties
Chapter 8: The Examination Function
Chapter 9: The Appeals Function
Chapter 10: Assessment Procedures
Chapter 11: Overpayment, Refund, Credit, and Abatement
Chapter 12: The Criminal Investigation Function
Chapter 13: The Service's Investigatory Powers
Chapter 14: The Tax Collection Function: Tax Liens and Levies
Chapter 15: Avoiding and Minimizing the Effect of Tax Liens and Levies
Chapter 16: Priority of Tax Claims
Chapter 17: Collection From Nontaxpayers--Transferee Liability

Limited Liability Companies: Tax and Business Law
Chapter 1: Introduction
Chapter 2: Tax Classification
Chapter 3: Choice of Entity: Tax and Nontax Comparison
Chapter 4: Entity Comparison: Limited Liability Company Versus S Corporation
Chapter 5: Mechanics of Creating the Entity
Chapter 6: The Members' Liability Shield
Chapter 7: Governance: Management Structure and the Power to Bind the Entity
Chapter 8: Exit Rights of Members (Entity Continues)
Chapter 9: Entity Dissolution
Chapter 10: Fiduciary Duty
Chapter 11: Are LLC Membership Interests "Securities"?
Chapter 12: Conversions of Existing Operations: Limited Liability Companies and Other Business Entities
Chapter 13: Uniform Limited Liability Company Act
Chapter 14: Delaware Limited Liability Company Act
Chapter 15: Limited Liability Partnerships and Limited Liability Limited Partnerships
Chapter 16: Publicly Traded LLCs
Appendix A. Constitutive Documents
Appendix B. Limited Liability Partnership Acts
Appendix C. The Delaware Limited Liability Company Act [New]



Cancellation Policy

Home  |   FAQ  |   About Us   |   FeedBack/Contact Us   |   Site Map   |   Terms of Use   |   Privacy Statement   |   Tax Industry Websites
For Sales please call 1-800-950-1216 or locate your local representative.
©2013 Thomson Reuters. All rights reserved.

[B-B02]
[clientip=]
[Entry written to logfile.]