1999
TAXATION OF DAMAGE AWARDS 
All articles written by Robert W. Wood (unless otherwise noted)
More Thoughts on Taxation of Commercial Litigation Income, Tax Notes (August 16, 1999), p. 1100.
Payments to Attorneys Subject of Proposed Reporting Regulations, Vol. 13, No. 2, BNA's Employment Discrimination Report, July 14, 1999, p. 76.
Settling Employers: Do You Withhold or Not?, Vol. 82, No. 13, Tax Notes (March 29, 1999), p. 2001.
Should Prejudgment Interest Be Taxable?, Vol. 82, No. 5, Tax Notes (Feb. 1, 1999), p. 719.
Withholding on Awards and Settlements Redux, Vol. 82, No. 3, Tax Notes (Jan. 18, 1999), p. 381.
MERGERS AND ACQUISITIONS
How Much is "Substantially All?", Vol. 8, No. 5, M&A Tax Report (December 1999), p. 1.
Redemptions: Gaining a Capital Gain, Vol. 8, No. 5, M&A Tax Report (December 1999), p. 1.
Recapitalization Accounting, Vol. 8, No. 5, M&A Tax Report (December 1999), p. 4.
Book Review: The Best in M&A, Vol. 8, No. 5, M&A Tax Report (December 1999), p. 6.
High Tech Mergers and Acquisitions Institute Held in Silicon Valley, Vol. 8, No. 4, M&A Tax Report (November 1999), p. 6.
Tracking Stock Makes New (Again), Vol. 8, No. 3, M&A Tax Report (October 1999), p. 1.
IRS Issues Regulations Under Section 338, Vol. 8, No. 3, M&A Tax Report (October 1999), p. 1.
Devices Under Section 355: Who, Me?, Vol. 8, No. 3, M&A Tax Report (October 1999), p. 6.
Morris Trust Regulations at Last, Vol. 8, No. 3, M&A Tax Report (October 1999), p. 7.
Advance Pricing Agreement Fees: INDOPCO Exempt!, Vol. 8, No. 2, M&A Tax Report (September 1999), p. 1.
Stock Rights in Reorganizations: New Bells and Whistles?, Vol. 8, No. 2, M&A Tax Report (September 1999), p. 1.
Section 269 and Tax Avoidance: Should the IRS Give Up?, Vol. 8, No. 2, M&A Tax Report (September 1999), p. 4.
Bad "Device" Present in Cable & Wireless Deal, Vol. 8, No. 2, M&A Tax Report (September 1999), p. 7.
Pope & Talbot's Last Gasp, Vol. 8, No. 1, M&A Tax Report (August 1999), p. 1.
Disqualified Debt Instruments, Vol. 8, No. 1, M&A Tax Report (August 1999), p. 1.
Current Spins in the News, Vol. 8, No. 1, M&A Tax Report (August 1999), p. 5.
Whither Bausch & Lomb?, Vol. 8, No. 1, M&A Tax Report (August 1999), p. 6.
INDOPCO Hits Reorgs-What's Deductible and What's Not, Vol. 8, No. 1, M&A Tax Report (August 1999), p. 7.
Spin offs and Cost Savings: Is It The Business Purpose?, Vol. 7, No. 12, M&A Tax Report (July 1999), p. 1.
U.S. West and Global Crossing: Taxing History, Vol. 7, No. 12, M&A Tax Report (July 1999), p. 1.
Amortizing Goodwill: FASB Still At It After All These Years, Vol. 7, No. 12, M&A Tax Report (July 1999), p. 6.
Pooling: One More Word, Vol. 7, No. 12, M&A Tax Report (July 1999), p. 7.
Capitalizing Plant Costs?, Vol. 7, No. 12, M&A Tax Report (July 1999), p. 8.
'Pooling of Interests' Accounting to be Ousted, Vol. 7, No. 11, M&A Tax Report (June 1999), p. 1.
IRS Embraces 'Deductible' Preferred, Vol. 7, No. 11, M&A Tax Report (June 1999), p. 1.
More Acquisition Expenses to Watch Out For, Vol. 7, No. 11, M&A Tax Report (June 1999), p. 5.
Continuity of Business Enterprise Requirement: Loved but Misunderstood?, Vol. 7, No. 11, M&A Tax Report (June 1999), p. 7.
Retaining Stock After a Spin off, Vol 7, No. 10, M&A Tax Report (May 1999), p. 1.
Spin offs of Captive Companies, Vol. 7, No. 9, M&A Tax Report (April 1999), p. 1.
Will FASB Actions Derail the M&A Train?, Vol. 7, No. 9, M&A Tax Report (April 1999), p. 3.
Stingy Continuity of Interest Rulings, Vol. 7, No. 9, M&A Tax Report (April 1999), p. 6.
Preacquisition Salaries Nondeductible Under INDOPCO, Vol. 7, No. 9, M&A Tax Report (April 1999), p. 7.
Newspaper Publisher Required to Capitalize Expenses of Carrier Settlement, Vol. 7, No. 9, M&A Tax Report (April 1999), p. 8.
Voting Power and Consolidations: The Alumax Story, Vol. 7, No. 8, M&A Tax Report (March 1999), p. 5.
Crossing Borders: Legitimizing Outbound Reorganizations, Vol. 7, No. 8, M&A Tax Report (March 1999), p. 6.
FASB Rules and Consolidations, Vol. 7, No. 8, M&A Tax Report (March 1999), p. 8.
Spin Update, Vol. 7, No. 7, M&A Tax Report (February 1999), p. 1.
Beware Tax Avoidance Purpose, Vol. 7, No. 7, M&A Tax Report (February 1999), p. 1.
Covenants Not to Compete: Be Realistic, Vol. 7, No. 7, M&A Tax Report (February 1999), p. 3.
Liquidating a Recently Acquired Subsidiary, Vol. 7, No. 7, M&A Tax Report (February 1999), p. 4.
Section 1031: Not Just for Real Estate, Vol. 7, No. 7, M&A Tax Report (February 1999), p. 5.
Redemption Expenses Nondeductible: Avoiding Redemption Characterization, Vol. 7, No. 7, M&A Tax Report (February 1999), p. 7.
One More FSA: This Time, Continuity of Interest, Vol. 7, No. 7, M&A Tax Report (February 1999), p. 8.
The Continued Controversy About Pooling Transactions, Vol. 7, No. 6, M&A Tax Report (January 1999), p. 1.
Poison Pills and 'Dead Hand' Pills, Vol. 7, No. 6, M&A Tax Report (January 1999), p. 1.
Retiring Debt After a Spin off, Vol. 7, No. 6, M&A Tax Report (January 1999), p. 5.
Spins in the News, Vol. 7, No. 6, M&A Tax Report (January 1999), p. 5.
Watch Out for Golden Parachute Rules in Restructuring, Vol. 7, No. 6, M&A Tax Report (January 1999), p. 7.
MISCELLANEOUS
Valuing Stock: Built-in Tax, Securities Laws and Other Such Blemishes, Vol. 17, No. 6, Real Estate Tax Digest (June 1999), p. 179.
Hobby or Business: Brothel-Hopping Scrutinized by IRS, Tax Notes (June 28, 1999), p. 1941.
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