On August 14, TEI responded to a request for comments on proposed and temporary regulations under Section 6417 regarding elective payments for certain credits. TEI’s comments included concerns over burdensome prefiling registration requirements and over limitations on the taxpayers able to make elective payment elections, namely partners in partnerships and shareholders in S corporations.


Tax Data Takes Center Stage As TEI members know all too well, when it comes…
Excising Stock Buybacks From the Corporate Playbook On August 16, 2022, the Inflation Reduction Act of 2022…
TEI Roundtable No. 44: Leadership Development and Succession Planning As we’ve learned from the fabulous TV series Succession, leadership…
Kristina Capretta Kristina Capretta, senior tax manager at PepsiCo Canada and the…
Administrative Challenges Multistate Businesses Face—and Potential Solutions Since the beginning of time, multistate taxpayers have faced significant…
The Shifting State of US Tax Leadership In the May 29 edition of Tax Analysts’ Tax Notes…