The IRS and Treasury Department’s recent notice clarifying the treatment of specified research and experimental expenditures under Section 174 provides taxpayers and practitioners with substantive guidance, but it misses the mark in delineating which expenditures are amortizable, say attorneys at Eversheds Sutherland.
IRS Notice Clarifies R&E Amortization, But Questions Remain
by usoftax_admin | Sep 29, 2023 | Tax News
