Posted on Jul 21, 2014 By Fritz Strehlow
Transfer Pricing (Section 482) – US Company (US) with a German subsidiary. US transferred some software to Germany and required two things to comply with IRC Section 482: (1) value of the IP; ...
Continue reading "Recent Engagements" »
Posted on Jul 17, 2014 By Fritz Strehlow
Careful consideration should be given to potentially significant tax liability with respect to stock issued to founders, employees and contractors (in lieu of other compensation). Often, startups and ...
Continue reading "Considering an 83(b) Election" »