On the same day many company installments were due, the IRS and Treasury granted limited penalty relief for underpaying estimated tax installments based on the corporate alternative minimum tax. Although this relief was strongly sought, taxpayers would have preferred a longer duration of penalty waiver. A&M Tax Managing Director, Kevin M. Jacobs shares his viewpoint on the structure of the relief and discusses what taxpayers can anticipate in the forthcoming proposed regulations.
Read the Tax Notes Article
Mexican General Tax Rules for 2026: Changes Applicable to the Financial Sector
January 12, 2026
Overview of MFRL 2026 reforms impacting MITL, VATL, credit institutions, insurers, and capital repatriation compliance in Mexico.
New Hampshire Tax Amnesty Program Provides an Excellent, Limited Time Opportunity to Resolve Prior Period Liabilities
January 7, 2026
A limited-time New Hampshire tax amnesty program offers meaningful relief for unresolved state tax liabilities. The opportunity closes February 15, 2026.
THE NEW PILLAR TWO FRAMEWORK: UNBOXING THE SIDE-BY-SIDE PACKAGE
January 6, 2026
The OECD’s new Pillar Two Side-by-Side package introduces key safe harbours and simplifications, with implementation beginning in 2026.
OBBBA International Tax Guidance: What’s New, What’s Looming
January 6, 2026
New Treasury and IRS guidance under the OBBBA signals meaningful changes for international tax planning. Key implications are emerging now, with more to come in 2026.