Volume 15, Issue 2 (2014) Spring
Table of Contents
Articles
Survivorship Rights in Joint Bank Accounts: A Misbegotten Presumption of Intent
Gregory Eddington175
Taxation Without Limitation: The Prohibited Pretext Doctrine V. the Sebelius Theory
Brett W. Hastings229
Consistency is Key: to Preserve Legislative Intent the IRS Must Afford Legal Recognition to Non-marital Relationships in a Post-DOMA World
Shane R. Martins245
Retirement Security: Leveraging the Research and Development Tax Credit
Tristen J. Cohen291