56 results on '"McCaffrey, Carlyn S."'
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2. Chapter 11: Question and Answer Session.
3. Chapter 12: Question and Answer Session.
4. Divorce and taxes - selected items.
5. Time-traveling and generation-skipping in 2010 and beyond.
6. Estate planning in the shadow of the one-year 'repeal' of estate and GST tax in 2010.
7. Formula valuation - shield against gift tax risk or invitation to audit.
8. Learning to live with the new foreign nongrantor trust rules.
9. Breaking up may get even easier to do - proposed GST tax severance regulations.
10. Breaking up is no longer hard to do: final GST tax qualified severance regulations.
11. Question and answer session.
12. Divorce and taxes - selected issues.
13. Family Tax Planning under the New Law
14. The care and feeding of GRATs - enhancing GRAT performance through careful structuring, investing and monitoring.
15. U.S. tax planning for the estates of non-U.S. persons with U.S. connections.
16. U.S. estate planning for nonresident aliens who own partnership interests.
17. The aftermath of Walton: the rehabilitation of the fixed-term zeroed-out GRAT.
18. Generation-skipping transfer tax planning after the 2001 act: mostly good news.
19. Estate, gift, and generation-skipping transfer tax aspects of the life insurance trust.
20. The anti-Hubert regulations.
21. Trust modification prop. regs. and other significant GST tax developments.
22. When S corps. meet charities: choice of entity considerations from an income tax perspective.
23. Tax tuning the estate plan by formula.
24. Learning to live with the new foreign nongrantor trust rules.
25. Fencing in tax travelers - the new foreign trust rules.
26. Tax advantaged traveling for you and your money: expatriation and foreign trusts.
27. Freezing values for grandchildren - bridging the gaps between Chapters 13 and 14.
28. Asset freezes - the new valuation rules of Chapter 14.
29. The property rights of unmarried cohabitants in the USA
30. The busy practitioner's guide to student-edited law journals: our experts assess key articles from the first half of 2008.
31. Parting gifts: divorce agreements must often be drafted in the shadow of IRC section 2702.
32. The two-tier solution: a new tax strategy helps foreigners invest in the U.S. market.
33. Some tips on tax tuning gifts.
34. Techniques for Improving GRAT Performance.
35. Restructuring wills and trusts to reduce generation-skipping taxes.
36. The flaw in example 5: did the 2702 regs. try to extend the repeal of the doctrine of worthier title?
37. Fixing estate planning documents
38. The grantor trust rules after the Tax Reform Act of 1986.
39. The federal estate and gift tax treatment of life insurance.
40. The new generation-skipping trust checklist.
41. The property rights of unmarried cohabitants in the USA
42. Anticipating changes in the income tax laws affecting trusts and estates.
43. The use of trusts in planning for the dissolution of marriage.
44. Post-mortem Section 302 redemptions and the attribution rules.
45. The Use of Trusts to Structure Divorce Settlements.
46. Using valuation clauses to avoid gift taxes.
47. Income tax planning for divorce and separation after TRA '84.
48. The Generation-skipping Transfer Tax.
49. Generating Tax Savings By Multiple Skips.
50. "Who Killed the Rule Against Perpetuities?".
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