Lack of transparency from state taxing agencies and how it relates to judicial deference were topics at the #ABA/#IPT Advanced #Tax seminars. Partner Steve Young spoke to Law360 on what might change when #SCOTUS issues decisions later this term, saying, “If the Supreme Court overturns Chevron deference at the federal level, that's going to have impacts for how states review and think about the concept as well." Subscribers read here: https://lnkd.in/gz3_EcYX #StateTax #TaxRegulation #ChevronDoctrine
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In this issue: -- Informal advances not governed by Section 385(c); -- IRS comfortable with ruling on broader range of transactions; and -- "Determination" excuses taxpayer mistake of law. #tax #taxlaw #corporatetax #taxinsights
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Millard (Internal Revenue Service) Presents Using Behavioral Insights In Notice Design To Improve Taxpayer Responses And Achieve Compliance Outcomes Today At Georgetown University Law Center https://bit.ly/3TiJ20u #tax #taxlaw #taxpolicy
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Lowenstein partner Melissa Wiley will be speaking at the VCIA Annual Conference on August 14, where she will delve into recent Internal Revenue Service and legal developments in tax law, with a focus on the heightened scrutiny of 831(b) captives. Wiley will provide case studies and advice on navigating audits and positioning captives to effectively handle evolving regulatory challenges. For more information, please visit: https://bit.ly/3AiOfQg #tax #privateclientservices #taxlaw #taxation #lawyers #lawfirms
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The Tax Court just ruled in Carter v. Commissioner that filing for bankruptcy doesn’t pause separate proceedings for a whistleblower award claim. Tax pros, if your clients are involved in whistleblower claims or bankruptcy, this ruling could be a game-changer! ⚖️ 👉 Read more about this case https://hubs.li/Q02SgL520? #TaxProfessionals #TaxCourt #Whistleblower #Bankruptcy #IRS #TaxLaw #NovaTax #tax #taxation #taxnews #taxresearch #cpa #ea #enrolledagent #natp #naea
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#Tax attorney Joshua Odintz was quoted in a Law360 article on key challenges emerging three years after the Pillar Two #globalminimumtax agreement. The article examined implementation hurdles, with Mr. Odintz emphasizing the need for timely updates on R&D #taxcredit treatment under the new regime. Read more: https://bit.ly/3XzOzmB #internationaltaxation
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Inside The IRS Unit Taking On America’s Millionaires And Billionaires (International Consortium of Investigative Journalists) https://bit.ly/48tywcu #tax #taxlaw #taxpolicy #taxtwitter #internationaltax
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Targeting Tax Avoidance Enablers, 13 UC Irvine Law Review 1355 (2023) https://bit.ly/4eZnuA4 by Noam Noked & Zachary Marcone (The Chinese University of Hong Kong) #tax #taxlaw #taxpolicy #taxtwitter #internationaltax
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💻🚨Join us TOMORROW from 1:00 - 2:30 pm ET for a CLE panel discussion on tax controversies, "I Always Think That Everything Could Be A Trap: Ethical Dilemmas in Tax Controversy" with Megan L. Brackney, Aaron Esman, and Zhanna Ziering. Ethics Credit is available! https://loom.ly/PZ992f8 #Tax #TaxLaw #TaxCLE #TaxLawyer #TaxControversy
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The Chinese Tax System: Where It Stands And How We Should Study It https://bit.ly/43Sw1j4 by Wei Cui (Peter A. Allard School of Law at UBC) #tax #taxlaw #taxpolicy
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We are proud to have published this article last year and to have worked with author Bret Wells, who is consistently ranked as one of the top 75 most-cited tax professors since 2017 (according to data collected by Brian Leiter from Google Scholars H-Index)!
The Foreign Tax Credit Redux, 26 Chapman Law Review 159 (2022) https://bit.ly/3Ucm6BL by Bret Wells (University of Houston Law Center) #tax #taxlaw #taxpolicy
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