The IRS issued final regulations September 18, 2014 relating to disposition of tangible depreciable property. In 93 pages of guidance, Rev. Proc. 2014-54 sets forth the procedures by which a
The selection of a specialty tax provider for Energy Tax Incentives, Cost Segregation, Tangible Property Regulations, Research & Development, and other tax incentives is critical to the process, the resulting
Does this change of reporting the R&M expense for tax reporting purposes, per IRS statute, require that we conform with the same presentation / treatment for financial statement reporting? [hr]
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