Vol. 51 No. 4, July 1999
Index
- An Institute for the New Millennium.
- Charles Shewbridge Becomes TEI's President.
- Court ruling on attorney-client privilege could have chilling effect on U.S. business.
- H-P's Langdon Appointed to Top IRS Post.
- New Membership Coordinator.
- APA Confidentiality Provisions Should Be in Tax Bill.
- TEI Testifies on Complexity of Tax Code's International Provisions.
- California interest-offset rule is discriminatory and should be struck down, TEI urges Supreme Court.
- Don't Rush to Judgment on Tax Shelter Legislation, TEI Urges Ways and Means Committee.
- Interest Netting Rules Don't Provide Full Measure of Taxpayer Relief.
- Tax Return Information Should Remain Confidential, TEI Tells Justice, Treasury Departments.
- Cleveland Chapter Revisits "Best Practices" with IRS Officials.
- Record Retention Requirements Have IRS Playing a Game of Catch-Up.
- Chicago Chapter Seminars Cover International Issues, Research Credit.
- Los Angeles Chapter Hosts Three Seminars and Annual Tax Administrators' Night.
- New Jersey Chapter Celebrates 25th Anniversary.
- New Orleans Chapter Marks 50th Year.
- KEY PEOPLE.
- Martha O'Neal Receives Meritorious Service Award at S.F. Chapter Annual Meeting.
- Revenue Canada Assistant Deputy Minister Barry Lacombe Retires.
- Non-Member Early Notification Program for Conferences, Courses, and Seminars.
- Buying or selling a member of a consolidated group.
- International complexity and simplification.
- United States of America Plaintiff-Appellee, v. Richard A Frederick, Defendant-Appellant, and Randolph W. Lenz, Karin Lenz, and KCS Industries, Inc., Intervening-Defendant-Appellants.
- Hunt-Wesson, Inc. Petitioner, v. Franchise Tax Board, Respondent.
- Treasury Department white paper on corporate tax shelters.
- Technical clarification of interest-netting rules.
- H.R. 2378: confidentiality of advance pricing agreements.
- Confidentiality of tax return information.
- Record retention requirements under Rev. Proc. 98-25.