Federal Tax

IRC Section 382

True Partners Consulting’s experts have an in-depth understanding of the IRC Section 382 rules and restrictions governing public and private corporations with tax attribute carryovers that are turning the corner to profitability and utilizing the tax attribute carryovers or are releasing the valuation allowance against deferred tax assets.  We work closely with our clients to address aggregation and segregation rules, constructive ownership and attribution rules, anti-stuffing and reduction for non-business asset provisions, and net unrealized built-in gains and losses, among other significant issues.  A thorough IRC Section 382 study enables a company to identify available tax benefits and to effectively plan for the future.


John V.   Aksak
John V. Aksak
Managing Director
Tel. No:631-777-6310
Fax No:631.777.6360
Michael   Chen
Michael Chen
Managing Director
Tel. No:408-625-5088
Fax No:408.625.5138
Ryan   McKenzie
Ryan McKenzie
Managing Director
Tel. No:813-434-4015
Michael   O Connor
Michael O Connor
Managing Director
Tel. No:312-235-3320
Ross J.   Valenza
Ross J. Valenza
Managing Director
Tel. No:813-434-4002
Fax No:813.434.4052
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