
Insights from recent episode analysis
Audience Interest
Podcast Focus
Publishing Consistency
Platform Reach
Insights are generated by CastFox AI using publicly available data, episode content, and proprietary models.
Total monthly reach
Estimated from 2 chart positions in 2 markets.
By chart position
- 🇳🇿NZ · Courses#2610K to 30K
- 🇲🇾MY · Courses#126500 to 3K
- Per-Episode Audience
Est. listeners per new episode within ~30 days
5.3K to 17K🎙 Weekly cadence·235 episodes·Last published 1mo ago - Monthly Reach
Unique listeners across all episodes (30 days)
11K to 33K🇳🇿91%🇲🇾9% - Active Followers
Loyal subscribers who consistently listen
3.1K to 9.9K
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Reach across major podcast platforms, updated hourly
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* Data sourced directly from platform APIs and aggregated hourly across all major podcast directories.
On the show
Recent episodes
16.5. SALT - Individual Taxation, Credits, and Remote Work
Apr 30, 2026
Unknown duration
16.4. SALT - Consumption-Based Taxes
Apr 29, 2026
Unknown duration
16.3.SALT - Dividing the Pie: Apportionment and Unitary Businesses
Apr 28, 2026
Unknown duration
16.2. SALT - P.L. 86-272 - Federal Intervention
Apr 27, 2026
Unknown duration
16.1. SALT (State and Local Tax) - Constitutional Thresholds
Apr 21, 2026
Unknown duration
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| Date | Episode | Description | Length | ||||||
|---|---|---|---|---|---|---|---|---|---|
| 4/30/26 | ![]() 16.5. SALT - Individual Taxation, Credits, and Remote Work | For our fifth and final episode in the SALT series, we are going to discuss general principles of individual multi-state taxation, the use of the OSTC (other-state tax credit), and modern issues arising from the prevalence of remote work.I hope you enjoyed this series. If there are any other subjects you would like me to cover, please let me know in the comments or by DM. | — | ||||||
| 4/29/26 | ![]() 16.4. SALT - Consumption-Based Taxes | In Episode 4 of 5 in our SALT series, we will examine consumption taxes, such as sales and use taxes and related amalgamations thereof in this modern digital economy. | — | ||||||
| 4/28/26 | ![]() 16.3.SALT - Dividing the Pie: Apportionment and Unitary Businesses | This is Episode 3 of 5 of our accelerated series on SALT (State and Local Taxation). Today we are tackling one of the most mechanically complex but conceptually fascinating areas of State and Local Tax: Apportionment and the Unitary Business Principle. We must answer the question: once a state has the constitutional authority to tax a multistate corporation, exactly how much of that corporation's income can it actually tax? | — | ||||||
| 4/27/26 | ![]() 16.2. SALT - P.L. 86-272 - Federal Intervention | For Episode 2 of 5 of our accelerated series on SALT, we will examine P.L. 86-272, codified at 15 U.S.C. §381, a rare instance of Congressional intervention of states' sovereignty to tax activity within its borders. | — | ||||||
| 4/21/26 | ![]() 16.1. SALT (State and Local Tax) - Constitutional Thresholds | For our first episode in the five-part series on State and Local Tax, or SALT, we will examine the Constitutional limitations on states' imposition of tax on both residents and nonresidents and the history of jurisprudence starting in the mid-20th century until today. | — | ||||||
| 4/20/26 | ![]() 15.8. Corporate Tax - Tax-Free Reorganizations | For our eighth and final episode of our series on Corporate Tax, we will examine the tax-free reorganization provisions under §368(a)(1) and the related basis provisions. Please let me know if there are any other subjects you'd like me to cover.-Guy | — | ||||||
| 4/16/26 | ![]() 15.7. Corporate Tax - Deemed Asset Deals | In the seventh episode of our Corporate Tax series, we will review the principles contained under §§ 1060, 338, and 336(e), each relating to the tax treatment of a taxable asset sale. | — | ||||||
| 4/14/26 | ![]() 15.6. Corporate Tax - Entity Level Liquidations (§§ 336, 332/337 | Episode 6 in our Corporate Tax series covers the entity level liquidation implications codified under §336 and the related provisions under §§ 332 and 337 pertaining to parent-sub scenarios. Finally, we will briefly touch on the residual allocation method prescribed under §1060 for business acquisitions structured as asset deals for tax purposes. | — | ||||||
| 4/13/26 | ![]() 15.5. Corporate Tax - Stock Dividends, Corporate Liquidations | Episode 5 is a long one, covering stock dividends under §305 and corporate liquidations under §331, along with the basis rules for each provision under §307(a) and §334(a) respectively, plus some ancillary or related provisions. | — | ||||||
| 4/10/26 | ![]() 15.4. Corporate Tax - Part II of §302 Redemptions | In Episode 4 of our Corporate Tax series, we will review the "not essentially equivalent" to a dividend standard, the corporate contraction doctrine codified under §302(e), and §312(n)(7) adjustments to E&P resulting from §302 treatment. | — | ||||||
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| 4/9/26 | ![]() 15.3. Corporate Tax - §302 Redemptions - I of II | In Episode 3, we will explain redemptions (as defined under §317(b)) under IRC §302 and also introduce attribution under §318. | — | ||||||
| 4/8/26 | ![]() 15.2. Corporate Tax - Distributions - §301, §312, and §316 | For Episode 2 of our Corporate Tax series, we will review the treatment of corporate distributions under §§ 301, 312, and 316. | — | ||||||
| 4/3/26 | ![]() 15.1. Corporate Tax - Double Tax, Formation, and Basis (§§ 351, 357, 358, 362) | In this inaugural episode of the Corporate Tax series, we will discuss the concept of the corporate double tax in US taxation, formation of a C-corporation, and calculation of the shareholder's stock basis and the corporation's inside property basis. | — | ||||||
| 3/27/26 | ![]() 14.10. International Tax - Master Review | In our final episode, we will do a high-level review of our international tax survey course, along with recommended approaches to different types of fact patterns. | — | ||||||
| 3/26/26 | ![]() 14.9. Treaties & The 2026 Horizon | In this episode, we will review the topic of tax treaties in international taxation. | — | ||||||
| 3/17/26 | ![]() 14.8. The Foreign Tax Credit (FTC) – Baskets, Haircuts, and the OBBBA | In this episode, we will examine foreign tax credits a post-OBBBA world. | — | ||||||
| 3/13/26 | ![]() 14.7. The Export Benefit – FDDEI (§ 250) | In this episode, we will examine §250 Foreign-Derived Deduction Eligible Income. | — | ||||||
| 3/12/26 | ![]() 14.6. Outbound – The New NCTI (§ 951A & The OBBBA Era) | In this episode, we will review GILTI and NCTI in 2026. | — | ||||||
| 3/11/26 | ![]() 14.5. The Subpart F Regime (§§ 951–954) | For Episode 5, we will be examining the Subpart F regime under §§ 951-954. | — | ||||||
| 3/11/26 | ![]() 14.4. International Tax - Expatriation and the Branch (§§ 877, 877A, and 884) | For this episode, we will look at expatriation under §§877 and 877A, and the Branch Profits Tax under § 884. | — | ||||||
| 3/9/26 | ![]() 14.3. Sourcing Rules (IRC §§ 861-865) | For Episode 3, we will be examining the sourcing rules under §§ 861-865. | — | ||||||
| 3/9/26 | ![]() 14.2. International Tax: The Inbound Dual-Track | For our 2nd episode on international taxation, we will look at the dual income track under §§ 871, 881, and 882. | — | ||||||
| 3/8/26 | ![]() 14.1. International Tax: Jurisdiction and Residency | Episode 1, Jurisdiction and Residency, surveys the law around determining whether you are a US resident subject to worldwide taxation, or a nonresident alien (NRA) taxed only on US source income. | — | ||||||
| 7/28/25 | ![]() 13.25. MBE Mastery Breakdown #25 | 13.25. MBE Mastery Breakdown #25 | — | ||||||
| 7/28/25 | ![]() 12.14. Bar Checklist and Review Comments | 12.14. Bar Checklist and Review Comments | — | ||||||
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Chart Positions
2 placements across 2 markets.
Chart Positions
2 placements across 2 markets.
