Our Tax group counsels a wide variety of clients from Fortune 500 companies and multinational corporations to tax-exempt organizations and closely held businesses. The group includes former members of the Internal Revenue Service Office of Chief Counsel, certified public accountants and tax lawyers admitted to practice before various courts including the U.S. Tax Court, the U.S. Court of Federal Claims, U.S. Circuit Courts of Appeal and the U.S. Supreme Court.
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Business Law Update – Summer 2019 - Thompson Hine Newsletter
August 14, 2019
Ohio Municipal Income Taxes - Finality Regarding the Application of the Pension Exemption to SERPs and Certain Similar Arrangements and Employer Withholding Pursuant to HB 166
July 23, 2019
Ohio Budget HB 166 Contains Income Tax Credit for Investments in Qualified Opportunity Zone Funds - Qualified Opportunity Zones Update
July 10, 2019
Treasury Comment Introducing Approach for Purchasers of Non-Qualifying QOF Interests to Have Qualifying QOF Interests - Qualified Opportunity Zones Alert
July 01, 2019
New IRS FAQ Permits Section 1231 Gains Invested in a QOF During 2018 to Be a Qualifying Investment - Qualified Opportunity Zones Update
July 01, 2019
Comment Letter Submitted Regarding Round Two Guidance
June 19, 2019
Opportunity Zone and Startup Tech Companies IRS Guidance: Round Two Summary - Qualified Opportunity Zone Alert
May 09, 2019
Opportunity Zone IRS Guidance: Round Two Summary - Qualified Opportunity Zone Alert
May 07, 2019
SB 8 Reintroduces Ohio Income Tax Credit for Investments in Qualified Opportunity Zone Funds - Qualified Opportunity Zones
February 20, 2019
Issue List From 2-14-19 IRS Hearing on Opportunity Zone Proposed Regulations - Qualified Opportunity Zones
February 20, 2019
January 23, 2019
IRS Regulations Give Green Light for Real Estate Investments in Opportunity Zones - Qualified Opportunity Zone Alert
November 26, 2018
Opportunity Zones and Start Up Tech Companies
November 02, 2018
IRS Guidance Addresses Opportunity Zones
October 21, 2018
October 11, 2018
January 23, 2018
Tax Court Rules on Gains from Foreign Investment in U.S. Partnerships - Tax Update
July 26, 2017
NMTCs: CDFI Limitations on Use of QLICIs to Refinance QALICB Debt or Equity
November 09, 2016
July 08, 2016
Seller’s Success-Based Transaction Costs and IRS CCA 201624021
June 14, 2016
September 25, 2015
June 30, 2015
FASB Drops Extraordinary Item Reporting: Section 162(m) Impact
November 05, 2014
September 24, 2014
Interest Payable to Tax-Exempt Corporations on Tax Refunds
May 28, 2014
New IRS CCA Discusses FICA Taxation Of Dividend Equivalents
April 17, 2014
Are There NMTC Take-Aways From Rev. Proc. 2014-12?
January 21, 2014
April 19, 2013
Section 83(B) Election Should Be Effective for FICA Taxation of Restricted Shares
January 25, 2013
InvestOhio — FAQs & Administrative Rules
December 08, 2011
InvestOhio to Encourage New Capital Investment in Ohio
July 08, 2011
April 29, 2011
August 23, 2010
Double Merger: Structuring a Tax-Free Acquisition by a Public Corporation Using Stock & Cash
May 06, 2010
Thompson Hine Comment Letter Regarding Effective Date of Future Section 162(m) Expansion
October 26, 2008