IRS Challenges Asset Drop Assumption In Actuarial Guideline 34 Peter H. WinslowL. WrightFebruary 9, 2010
Common Myths In Interpreting The Company Tax Provisions of the 1984 Act Peter H. WinslowL. WrightSeptember 21, 2009
REMIC Impairments May Qualify As Worthless Bad Debts Peter H. Winslow, Samuel A. MitchellL. WrightMay 22, 2009
IRS Foreign Insurance Excise Tax - Tax Audit Techniques Guide Present Questionable Positions Peter H. Winslow, Biruta P. KellyL. WrightMay 5, 2009
Section 988 Hedging Impacted By Economic Problems Peter H. Winslow, Biruta P. KellyL. WrightMay 2, 2009
Effective Date and Statutory Reserves Capping Issues Under Actuarial Guideline XLIII Peter H. WinslowL. WrightFebruary 20, 2009
Identified Straddle Rules Fixed by Technical Corrections Peter H. Winslow, Biruta P. KellyL. WrightSeptember 16, 2008
The Tax Reserve Method Should Be PBR Once It Is Adopted by the NAIC Peter H. WinslowL. WrightSeptember 8, 2008
Highest Aggregate Reserves Qualify for Statutory Reserves Cap Peter H. Winslow, Samuel A. Mitchell, Lori J. JonesL. WrightSeptember 5, 2008
Proposed IASB Discussion Paper Accounting Standard for Insurance—Back to the Future Peter H. WinslowL. WrightSeptember 3, 2008
What Does Textron Mean for Preserving the Confidentiality of Tax Accrual Workpapers? Peter H. Winslow, Samuel A. MitchellL. WrightMay 23, 2008
IRS Requires Use of Prevailing State Minimum Reserve Standard Where There Is No Specific NAIC Guidance at Issue Date Peter H. Winslow, Susan J. HotineL. WrightSeptember 21, 2005
In-House Tax Advisors and Actuaries Beware on Product Taxation Peter H. Winslow, Susan J. HotineL. WrightSeptember 19, 2005
IRS Attempts to Avoid Income/Deduction Mismatch for Deferred and Uncollected Premiums Peter H. Winslow, Susan J. HotineL. WrightSeptember 19, 2005
Is the IRS Saying That Class Action Damages are Not Subject to IRC Section 72? Peter H. Winslow, Susan J. HotineL. WrightMay 27, 2005
Steps to Take to Minimize a Client's Employment Taxes as Proposed on Audit Peter H. WinslowL. WrightOctober 5, 2004