Partnership Tax Provisions Could Provide Basis for Inclusion of Subpart F Income in Notice 2009-7's 'Transaction of Interest'

Partnership Tax Provisions Could Provide Basis for Inclusion of Subpart F Income in Notice 2009-7's 'Transaction of Interest'
Harry D. Shapiro, Co-author; et al.
BNA Daily Tax Report

Harry D. Shapiro, Partner and Chair of the Tax Practice Group, wrote this article forBNA Daily Tax Report. The article examines tax provisions for controlled foreign corporations (CFCs).