Pass-Through Entity Tax

Shipman & Goodwin attorneys Alan Lieberman and David Bigger will be speakers at the CBIA’s “Navigating the New Pass-Through Entity Tax” event which will explain all aspects of the law, including how, starting with the 2018 tax year, pass-through entities will be taxed on their own income and are required to make estimated payments against

In a story in Bloomberg Tax (“Connecticut Mulls State, Local Tax Deduction Cap Workarounds”), Shipman & Goodwin attorney Louis B. Schatz discussed Connecticut’s proposed legislation for addressing the impact of the new federal tax law.

To read the full story, please click here.

Reproduced with permission. April 14, 2018 Copyright 2018 by the Bureau

Join Shipman & Goodwin tax attorneys for a four-part CLE webinar reviewing some of the more significant provisions of the Tax Cuts and Jobs Act.
Continue Reading Webinar: An Overview of the Significant Provisions of the Tax Cuts and Jobs Act – Four-Part Series

On April 17, 2017, the Connecticut Department of Revenue Services (“Department”) released eagerly awaited market-based sourcing guidance. The guidance will have an impact of virtually all companies (regardless of form) doing business within and without Connecticut. The guidance was issued in the form of Special Notice 2017(1) and provides a detailed explanation of the recent changes to Connecticut’s tax law concerning apportionment for taxpayers, including corporations, pass-through entities (such partnership and S corporations), and individuals.
Continue Reading Eagerly Awaited “Market-Based Sourcing” Guidance Issued by Connecticut Department of Revenue Services