Federal
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May 03, 2023
Atlanta Club Owner Gets 2 Years In $12M Tax Refund Scam
An Atlanta nightclub owner who admitted to helping his brother steal taxpayers' personal information to illegally obtain more than $12 million in refunds was sentenced to 24 months in prison on Wednesday in Georgia federal court.
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May 03, 2023
Sysco Challenges IRS' Denial Of $115M In Foreign Tax Credits
Sysco Corp. has challenged the IRS' decision to deny it nearly $115 million in foreign tax credits on offshore income it brought home under the 2017 federal tax overhaul's transition tax, telling the U.S. Tax Court that the agency exceeded its authority.
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May 03, 2023
Divided Full 6th Circ. Won't Rehear ARPA Tax Suit
The Sixth Circuit declined Wednesday to rehear a panel's holding that the federal government can't enforce a provision barring Tennessee from using federal coronavirus relief funds to offset revenue reductions such as tax cuts.
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May 03, 2023
Ex-College Owner Seeks $35M Tax Refund After Merger Fight
The former owner of several for-profit colleges is entitled to a $34.7 million tax refund stemming from a post-merger settlement he reached with the schools' buyer over claims that the institutions deceived students and the government, he said in a suit filed in California federal court.
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May 03, 2023
Eaton Says IRS Wrongly Lowered Dividend Income By $193M
The Internal Revenue Service improperly reduced the dividend income of a U.S. subsidiary of multinational power company Eaton by nearly $193 million in 2010, the company said in a U.S. Tax Court petition.
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May 03, 2023
11th Circ. Won't Wipe Trump Pardonee's Tax Evasion Record
A Florida real estate investor pardoned by former President Donald Trump after he pled guilty to a tax crime can't get his criminal record wiped, as the Eleventh Circuit ruled Wednesday that a lower court lacked the authority to hear his expungement request.
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May 03, 2023
Partnership Didn't Understate 2011 Income, Tax Court Says
A Missouri partnership did not underreport its income for the 2011 tax year, the U.S. Tax Court found Wednesday, concluding that the partnership can exclude interests in a company that it indirectly received under Internal Revenue Service guidance.
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May 03, 2023
Court Urged To Hold Couple Liable For $1M In FBAR Penalties
Enough proof exists of a couple's recklessness for a federal judge to find they owe nearly $1 million in penalties for willfully failing to report their foreign bank account, the U.S. government said in New York federal court Wednesday.
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May 03, 2023
Carbon Taxes Don't Replace Green Policy, Report Says
Carbon taxes don't dependably deliver on the argument that they can replace a complex environmental regulatory ecosystem, as such taxes implemented worldwide thus far haven't usually gone hand in hand with substantial environmental regulation repeals, the conservative-leaning Tax Foundation said in a report.
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May 03, 2023
Mich. Anesthesiologist Owes $930K In FBAR Penalties
A Michigan anesthesiologist owes $930,000 in penalties for his willful failure to file reports of his foreign bank accounts, a federal court said in an order granting the government's request for summary judgment.
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May 02, 2023
Bondholders Can't Sue Argentina Over $35M Default
A trio of bondholders cannot sue Argentina to recover more than $35 million owed after the country defaulted since they had placed their bonds in trust with an entity that opted not to pursue the debt, the Second Circuit ruled on Tuesday.
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May 02, 2023
Tax Court Adds Unreported Interest, Dividend To Man's Income
A Washington man's unreported interest and dividend income for 2018 are taxable, the U.S. Tax Court ruled Tuesday.
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May 02, 2023
Mich. Woman Must Pay For Unreported $50K, Tax Court Says
A woman who failed to report just over $50,000 in wages she received as a state employee in Michigan on her 2018 tax return must pay taxes on them and faces an accuracy-related penalty, a U.S. Tax Court special trial judge found.
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May 02, 2023
No Delay In Voiding IRS Notice On Abusive Trusts, Judge Says
A Michigan federal judge refused to delay invalidating IRS guidance flagging abusive trust arrangements for employees while the agency sought to appeal the order, saying the government failed to adequately justify its request.
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May 02, 2023
US, Engineer Want $4.3M FBAR Suit Decided Without Trial
The U.S. and an engineer fighting a $4.3 million penalty have asked a California federal court to decide her case, in which the government argues she recklessly disregarded her responsibility to disclose her full holdings, without trial, according to a joint motion filed Tuesday.
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May 02, 2023
Split DC Circ. Finds IRS Tax Shelter Penalties Timely
The Internal Revenue Service wasn't too slow to assess around $256,000 in penalties against a man who promoted abusive tax shelters, a split D.C. Circuit panel ruled Tuesday, finding a three-year deadline for tax assessments didn't apply to the penalty assessment.
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May 02, 2023
Tax Court Says Petition Filed Too Late In Court's Time Zone
The U.S. Tax Court can't review an Alabama couple's case challenging a notice of deficiency because they filed their petition after the submission window closed in the time zone where the court is located, the court said Tuesday.
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May 02, 2023
US, Maryland Man Have Tentative Deal In $574K FBAR Case
The U.S. government is prepared to settle the case of a Maryland man who it claims owes almost $574,000 in foreign bank account reporting penalties, according to documents filed in Maryland federal court.
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May 02, 2023
Altria Sues For $106M Tax Refund Over Anheuser-Busch Stock
Tobacco giant Altria Group Inc. is owed a $105.7 million tax refund from the Internal Revenue Service, it told a Virginia federal court, arguing that it overstated its tax liabilities stemming from its interests in beverage company Anheuser-Busch, among other claims.
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May 02, 2023
Ga. Man Fails To Respond To Court, Owes $2.7M In Taxes
A Georgia business owner was ordered to pay $2.7 million in unpaid taxes after he refused to answer the federal government's complaint against him seeking to recover the money, according to a default judgment entered against him by a federal court.
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May 02, 2023
Colo. Farm Couple Cite Hardships In Bid For $3.4M Tax Refund
A Colorado couple are seeking a $3.4 million refund from the Internal Revenue Service based on the economic and personal hardships that their family and farm suffered, according to a complaint filed in federal court.
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May 02, 2023
Fla. Storm Victims Get Extensions On Federal Taxes
Taxpayers affected by tornadoes and storms in Broward County, Florida, will have until Aug. 15 to submit some returns and payments, the Internal Revenue Service said Tuesday.
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May 02, 2023
Compatibility Of Min. Tax Rules Unclear, Says Trade Org
It is unclear how compatible the model rules for the globally agreed-upon corporate minimum tax will be with existing international tax rules, the National Foreign Trade Council said in a letter to the Organization for Economic Cooperation and Development.
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May 02, 2023
Klehr Harrison Taps Feingold & Alpert Vet As Tax Group Head
Klehr Harrison Harvey Branzburg LLP has added a more than 30-year veteran from Feingold & Alpert LLP to serve as chair of its tax group, the firm announced on Monday.
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May 02, 2023
Texas Law Firm Agrees To Pay Taxes, Undergo IRS Monitoring
A Texas law firm accused by the IRS of failing to pay almost $587,000 in payroll taxes has agreed to pay its outstanding liabilities and submit to three years of monitoring by the agency, according to a Texas federal court.
Expert Analysis
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3 Forces That Will Define Sales Tax Compliance In 2022
As we head into 2022, it's likely that many of the legal and cultural shifts we saw this year — such as increased adoption of economic nexus and marketplace facilitator laws, growth in state budgets and continuation of remote work — will define sales tax compliance in the new year, says Liz Armbruester at Avalara.
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When And How To Depose Fact Witnesses Remotely In 2022
Tim Tryniecki and Thomas Mudd at MG+M offer a series of practice tips for successfully conducting remote depositions of often-inexperienced fact witnesses, as the virtual court proceedings sparked by COVID-19 look set to become a part of the legal landscape next year.
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EU, US Carbon Import Tax Proposals: What Cos. Must Know
With the European Union working on a carbon border adjustment mechanism, and congressional Democrats formulating their own carbon import tax plans, U.S. businesses — especially those in emissions-intensive, trade-exposed industry sectors — could face adverse trade effects, supply chain problems and increased transactional costs, say attorneys at Hogan Lovells.
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Navigating CARES Act Social Security Tax Deferral Payments
Attorneys at Morgan Lewis examine Internal Revenue Service guidance on payment of employer-share social security tax deferrals due Jan. 3 under the Coronavirus Aid Relief and Economic Security Act, and offer tips for avoiding costly underpayment and late deposit penalties.
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Tech Improvements That Can Help Gov't Tackle FOIA Backlog
Government agencies can implement effective technological solutions that will help them address the growing backlog of Freedom of Information Act requests, and avoid costly noncompliance litigation, by taking steps to identify agency-specific needs, develop cohesive strategies and obtain leadership buy-in, say Ken Koch and Erica Spector at KPMG.
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IRS Memo Helps Clarify Research Credit Filing Requirements
A recently published Internal Revenue Service chief counsel memorandum offers long-awaited guidance about information requirements for taxpayers seeking research credit refunds and provides helpful notice of the agency’s litigating position where credits are denied, say Deborah Roth and Brian Coddington at Source Advisors.
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Questions To Ask If Doing Business In A Corruption Hot Spot
Businesses facing new scrutiny after the U.S. Department of Justice's recently announced task force for combating human trafficking in Central America, the release of the Pandora Papers and continuing fallout from 2019's Panama Papers, should address compliance risks by having employees ask three questions about every transaction, say attorneys at White & Case.
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New DOJ Corporate Crime Approach May Deter Self-Reporting
Deputy U.S. Attorney General Lisa Monaco's recent unveiling of a tougher white collar enforcement approach at the U.S. Department of Justice — focusing on corporate recidivism and compliance monitors — could result in companies being less willing to self-report wrongdoing or enter into resolutions with the government, say attorneys at Morgan Lewis.
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Infrastructure Bill May Limit Cryptocurrency Loss Deductions
If enacted, provisions in President Joe Biden's infrastructure bill would broaden a rule meant to prevent the harvesting of tax losses, causing every cryptocurrency investor who wants to deduct a loss to consider whether it is worth cashing out to fiat currency and waiting 30 days before reinvesting to take a loss deduction, says Andrew Leahey at Hunter Creek Consulting.
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The Infrastructure Bill Should Not Target Cryptocurrency
Congress should excise a provision in the pending infrastructure bill that would require anyone who accepts $10,000 in cryptocurrency for goods or services to report the transferring party's personal information to the Internal Revenue Service — this would be unnecessary, ill-advised and possibly unconstitutional, says James Burnham at Jones Day.
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Opportunity Zone Regulations Require More Fine Tuning
Problems with the latest revisions to the qualified opportunity zone investment rules reinforce a recurring theme of regulatory hiccups that may prevent investors and communities from actualizing the program's potential benefits, unless we have more guidance, says Mitchell Goldberg at Berger Singerman.
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Preserving Disgorgement Tax Deductibility In SEC Settlements
The U.S. Securities and Exchange Commission recently added language to its enforcement orders that could affect a settling party's ability to deduct certain disgorgement payments, but proper planning can help them satisfy Internal Revenue Service prerequisites, say attorneys at Sidley.
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How The Global Tax Agreement Could Backfire For Biden
If the $3.5 trillion spending package fails, the federal tax code will not conform to the recent 15% global minimum tax agreement spearheaded by the U.S., which would embarrass the Biden administration and could lead to retaliatory tax measures by other nations, says Alex Parker at Capitol Counsel.