Do you need guidance for negotiating and drafting a non-jurisdictional settlement agreement and release of claims for a single-plaintiff employment dispute? Use our newly published playbook, Settlement...
In May 2025, the SEC’s Division of Trading and Markets, along with a separate statement by SEC Commissioner Peirce, released FAQs that provide long-awaited clarity on the regulatory treatment of...
Both the House and Senate versions of the One Big Beautiful Bill Act (OBBBA), passed by the House on May 22, 2025, and the Senate on July 1, 2025, phase out tax credits for wind, solar, and electric vehicle...
Playbooks help attorneys review, draft, and negotiate contracts efficiently and consistently by comparing favored contract language with fallback language and providing drafting guidance and negotiation...
In the intricate world of M&A transactions, tax considerations often determine deal viability, structure optimization, and ultimate value creation. Navigate the complex landscape where strategic tax...
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IRS guidance allows automatic accounting method changes for taxpayers who want to adopt a depreciation method conforming to the alternative depreciation system (ADS) for controlled foreign corporations (CFCs) under the global intangible low-taxed income (GILTI) tax system. Adoption of the ADS was initially a nonautomatic accounting method change under IRS rules. But IRS relaxed the rules in Rev. Proc. 2021-26, allowing ADS changes to be automatic for a limited time and providing taxpayer guidance.
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