TXCPA Style Guide



Text Styles:


Saira ExtraCondensed Bold / 60px
Connecting, Protecting & Advancing Texas CPAs

use element <h1> , or use class="h1" or "fs-1"


Saira ExtraCondensed Bold / 48px
Connecting, Protecting & Advancing Texas CPAs

use element <h2>, or use class="h2" or "fs-2"


Saira ExtraCondensed Bold / 36px
Connecting, Protecting & Advancing Texas CPAs

use element <h3>, or use class="h3" or "fs-3"


H4: Saira ExtraCondensed Bold / 28px
Connecting, Protecting & Advancing Texas CPAs

use element <h4>, or use class="h4" or "fs-4"


H5: Saira ExtraCondensed Bold / 24px
Connecting, Protecting & Advancing Texas CPAs

use element <h5>, or use class="h5" or "fs-5"


Body/Strong: Open Sans Regular/Bold / 18PX

Lorem ipsum dolor sit amet consectetur. Diam convallis imperdiet tincidunt nam et. Sem nisi adipiscing amet interdum nisi. Viverra cursus metus elementum posuere. At netus enim morbi nam. Lorem ullamcorper congue sociis leo etiam suspendisse dapibus neque. Tortor eget dui in lobortis tellus.

Lorem ipsum dolor sit amet consectetur. Diam convallis imperdiet tincidunt nam et. Sem nisi adipiscing amet interdum nisi. Viverra cursus metus elementum posuere. At netus enim morbi nam. Lorem ullamcorper congue sociis leo etiam suspendisse dapibus neque. Tortor eget dui in lobortis tellus.

Color Styles:


primary

#1D4F91

secondary

#41B6E6

green

#00816D

accent

#FF6900

maroon

#910048

accent-alt

#ddf1b7

lighter blue

#ECF8FC

dark

#333333

Background color

You can use background utility classes to apply background colors to elements.

Use .bg-* and then append any color name above.

Text color

Note that these background classes don’t change the text color, so you may also need to apply a .text-* class to ensure good contrast and readability.

BUTTON STYLES:

class value: btn-primary

Button Primary

class value: btn-secondary

Button Secondary

class value: btn-green

Button Green

class value: btn-accent

Button Accent

class value: btn-burgundy

Button burgundy

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A Review of IRS Notice 2024-35, Certain Required Minimum Distributions for 2024

  • Published on Apr 22, 2024

By Rick Allen, CPA-East Texas  

Notice 2024-35 is a detailed analysis and explanation of what the final regulations will say regarding required minimum distributions (RMDs) related to retirement accounts of decedents who died after 2019. The IRS seems to be giving taxpayers one more year of not taking RMDs without assessing an excise tax … that being 2024. So, taxpayers are protected if they did not take post death RMDs for 2021 (the first year they would have been required to take an RMD under the IRS interpretation), 2022, 2023 or 2024.  

It appears as if the relief will stop there. RMDs will be required to be made beginning in 2025. The notice seems to be silent about whether distributions which (in the IRS’ view) should have been made in 2021, 2022, 2023 or 2024 will need to all be made in 2025 or if the taxpayer can just begin taking normal RMDs in 2025. 

The analysis is thorough, but I am unsure whether the IRS properly tied the RMD rules to the five-year rule (now changed to the 10-year rule) correctly. 

I think TXCPA Federal Tax Policy Committee’s efforts in pushing back against the IRS regarding their late roll-out of the RMD rules bought taxpayers four years of free space not being required to take RMDs on inherited retirement accounts, and correspondingly, helped CPAs in working with these clients.  

Taxpayers with illiquid retirement assets and other reasons to delay taking distributions have benefited by the delay and should be prepared to start taking RMDs in 2025. Texas CPAs should work to notify clients impacted by these rules accordingly. 

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A Review of IRS Notice 2024-35, Certain Required Minimum Distributions for 2024

  • Published on Apr 22, 2024

By Rick Allen, CPA-East Texas  

Notice 2024-35 is a detailed analysis and explanation of what the final regulations will say regarding required minimum distributions (RMDs) related to retirement accounts of decedents who died after 2019. The IRS seems to be giving taxpayers one more year of not taking RMDs without assessing an excise tax … that being 2024. So, taxpayers are protected if they did not take post death RMDs for 2021 (the first year they would have been required to take an RMD under the IRS interpretation), 2022, 2023 or 2024.  

It appears as if the relief will stop there. RMDs will be required to be made beginning in 2025. The notice seems to be silent about whether distributions which (in the IRS’ view) should have been made in 2021, 2022, 2023 or 2024 will need to all be made in 2025 or if the taxpayer can just begin taking normal RMDs in 2025. 

The analysis is thorough, but I am unsure whether the IRS properly tied the RMD rules to the five-year rule (now changed to the 10-year rule) correctly. 

I think TXCPA Federal Tax Policy Committee’s efforts in pushing back against the IRS regarding their late roll-out of the RMD rules bought taxpayers four years of free space not being required to take RMDs on inherited retirement accounts, and correspondingly, helped CPAs in working with these clients.  

Taxpayers with illiquid retirement assets and other reasons to delay taking distributions have benefited by the delay and should be prepared to start taking RMDs in 2025. Texas CPAs should work to notify clients impacted by these rules accordingly. 

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A Review of IRS Notice 2024-35, Certain Required Minimum Distributions for 2024

  • Published on Apr 22, 2024

By Rick Allen, CPA-East Texas  

Notice 2024-35 is a detailed analysis and explanation of what the final regulations will say regarding required minimum distributions (RMDs) related to retirement accounts of decedents who died after 2019. The IRS seems to be giving taxpayers one more year of not taking RMDs without assessing an excise tax … that being 2024. So, taxpayers are protected if they did not take post death RMDs for 2021 (the first year they would have been required to take an RMD under the IRS interpretation), 2022, 2023 or 2024.  

It appears as if the relief will stop there. RMDs will be required to be made beginning in 2025. The notice seems to be silent about whether distributions which (in the IRS’ view) should have been made in 2021, 2022, 2023 or 2024 will need to all be made in 2025 or if the taxpayer can just begin taking normal RMDs in 2025. 

The analysis is thorough, but I am unsure whether the IRS properly tied the RMD rules to the five-year rule (now changed to the 10-year rule) correctly. 

I think TXCPA Federal Tax Policy Committee’s efforts in pushing back against the IRS regarding their late roll-out of the RMD rules bought taxpayers four years of free space not being required to take RMDs on inherited retirement accounts, and correspondingly, helped CPAs in working with these clients.  

Taxpayers with illiquid retirement assets and other reasons to delay taking distributions have benefited by the delay and should be prepared to start taking RMDs in 2025. Texas CPAs should work to notify clients impacted by these rules accordingly. 

News List Vertical Simple - Title and Summary Only

 

A Review of IRS Notice 2024-35, Certain Required Minimum Distributions for 2024

  • Published on Apr 22, 2024

By Rick Allen, CPA-East Texas  

Notice 2024-35 is a detailed analysis and explanation of what the final regulations will say regarding required minimum distributions (RMDs) related to retirement accounts of decedents who died after 2019. The IRS seems to be giving taxpayers one more year of not taking RMDs without assessing an excise tax … that being 2024. So, taxpayers are protected if they did not take post death RMDs for 2021 (the first year they would have been required to take an RMD under the IRS interpretation), 2022, 2023 or 2024.  

It appears as if the relief will stop there. RMDs will be required to be made beginning in 2025. The notice seems to be silent about whether distributions which (in the IRS’ view) should have been made in 2021, 2022, 2023 or 2024 will need to all be made in 2025 or if the taxpayer can just begin taking normal RMDs in 2025. 

The analysis is thorough, but I am unsure whether the IRS properly tied the RMD rules to the five-year rule (now changed to the 10-year rule) correctly. 

I think TXCPA Federal Tax Policy Committee’s efforts in pushing back against the IRS regarding their late roll-out of the RMD rules bought taxpayers four years of free space not being required to take RMDs on inherited retirement accounts, and correspondingly, helped CPAs in working with these clients.  

Taxpayers with illiquid retirement assets and other reasons to delay taking distributions have benefited by the delay and should be prepared to start taking RMDs in 2025. Texas CPAs should work to notify clients impacted by these rules accordingly. 

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    There’s power in a united voice — and our volunteers use it to make a real impact on laws and regulations.

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