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IRS Identifies First Two "Transactions of Interest" Requiring Disclosure by Taxpayers and Material Advisors: Transactions Involving Excessive Charitable Contribution Deductions and Abuses of Grantor Trusts


by Ronald D. Aucutt View Biography
McGuireWoods LLP View Firm Credentials
McLean Office

W. Birch Douglass View Biography
McGuireWoods LLP View Firm Credentials
Richmond Office

Charles D. "Skip" Fox View Biography
McGuireWoods LLP View Firm Credentials
Charlottesville Office

Michele A. W. McKinnon View Biography
Brian C. Bernhardt View Biography
Craig D. Bell View Biography
McGuireWoods LLP View Firm Credentials
Richmond Office

May 12, 2008

Previously published on April 30, 2008

On August 14, 2007, the IRS issued Notices 2007-72 and 2007-73, identifying two transactions as "transactions of interest" subject to disclosure and list maintenance requirements.


 

The views expressed in this article are solely the views of the author and not Martindale-Hubbell. This article is intended for informational purposes only and is not legal advice or a substitute for consultation with a licensed legal professional in a particular case or circumstance.




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