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Federal
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June 22, 2026
Justices Turn Away Push For Jury Trials In Tax Penalty Cases
The U.S. Supreme Court won't consider whether the Internal Revenue Service violated several taxpayers' rights to jury trials when it imposed $30 million in tax fraud-related penalties, the justices said Monday, upholding an appellate court's order rejecting their bids for U.S. Tax Court trials.
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June 22, 2026
US Has 'Strong Interest' In Ongoing Pillar 2 Work, Official Says
A U.S. Treasury Department official signaled plans Monday to keep participating in technical talks for implementing a worldwide corporate 15% minimum tax agreement known as Pillar Two, saying the regime will still impact U.S. companies despite a side-by-side safe harbor.
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June 22, 2026
Tax Court Gives Spousal Relief To Wife In Abuse-Tainted Case
A New York woman is not liable for tax deficiencies stemming from a 2016 joint return she cosigned with her abusive husband, who had understated income from a business in which they both held ownership interests, the U.S. Tax Court ruled Monday.
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June 22, 2026
Justices Won't Review Dispute Over Tax Fraud Deadline
The U.S. Supreme Court declined on Monday to review a woman's challenge against the Internal Revenue Service over the period in which the agency can assess taxes on a taxpayer when a fraudulent third party triggers the liability.
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June 22, 2026
Irish Payments Show IP Returning To US, Tax Pro Says
Ireland's payments to the U.S. for intellectual property showed a dramatic increase between 2020 and 2026, indicating that IP development returned to the U.S. after the implementation of the 2017 Tax Cuts and Jobs Act, the head of a Washington-based think tank said Monday.
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June 22, 2026
No Need For Promises That $1.8B Fund Is Dead, DOJ Says
The U.S. Department of Justice refused to file a declaration stating it won't create a $1.8 billion settlement fund as part of the deal to close President Donald Trump's tax leak suit against the Internal Revenue Service, telling a Virginia federal judge it is "unnecessary."
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June 22, 2026
High Court Won't Wade Into Fight Over CBA Leave Provision
The U.S. Supreme Court on Monday turned down a Minnesota teachers union local's bid for review of an Eighth Circuit decision that revived a taxpayer challenge to a collective bargaining agreement's policy letting workers take paid time off to work for their union.
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June 18, 2026
Comedian Carlos Mencia Charged In Calif. Tax Evasion Case
Comedian Carlos Mencia is facing felony tax evasion charges after California prosecutors say he failed to report $8.7 million in personal and corporate income, the Los Angeles County District Attorney's Office announced Thursday.
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June 18, 2026
IRS Sets Transitional Rules For Opportunity Zone Perks
The IRS has released transitional guidance for tax benefits tied to opportunity zone investments, providing rules such as when to defer the tax on the capital gains, while the agency works on formal proposed regulations aligning with the 2025 budget law's changes to the incentives.
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June 18, 2026
Meta Says IRS Seeks 'Do-Over' Of Facebook Case
The IRS, in increasing Meta's income under the periodic adjustment rule for years 2017-2019, is seeking a "do-over" of the Facebook case decided in 2025, valuing the same intangibles the U.S. Tax Court already valued under a different method, Meta argued.
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June 18, 2026
Weekly Internal Revenue Bulletin
The Internal Revenue Service's weekly bulletin, issued Thursday, included plans to issue proposed guidance on the expanded 21% excise tax on excess compensation at tax-exempt organizations.
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June 18, 2026
Medtronic Ruling Supports IRS In Amgen Case, Tax Court Told
The IRS urged the U.S. Tax Court to back the agency's decision to allocate drugmaker Amgen's profits from the company's Puerto Rican subsidiary, arguing that the Eighth Circuit's ruling in Medtronic's case supports its pricing method.
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June 18, 2026
IRS Should Analyze Chatbot Applications, TIGTA Says
The IRS should develop a process to gauge the accuracy of its automated collection service chat applications, the Treasury Inspector General for Tax Administration said in a report released Thursday.
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June 18, 2026
Trump Accounts Not Subject To ERISA, DOL Says
Trump accounts, the new tax-advantaged brokerage accounts for newborns, will generally not be considered employee pension benefit plans and will not be subject to federal benefits laws, according to guidance issued Thursday by the U.S. Department of Labor.
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June 17, 2026
DOJ's Pot Shift Leaves Key Questions For Cannabis Industry
The Trump administration's recent moves to relax federal restrictions on marijuana through the administrative process will have unclear ramifications for all industry players unless Congress steps in to rewrite cannabis law, attorneys heard Wednesday.
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June 17, 2026
Tax Court Won't Rethink Basis Ruling Against Partnership
A U.S. Tax Court judge said Wednesday that he won't reconsider his ruling that a company electing to be treated as a disregarded entity and attempting to pay for interest in a partnership with a promissory note from its parent can't claim a basis in the partnership.
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June 17, 2026
Tax Court Trims In-Home Care Owner's $10.3M Bill
The owner of a New Orleans business that provides in-home care services convinced a U.S. Tax Court judge Wednesday to trim some of an over $10.3 million tax deficiency she accrued due to not filing returns for three years.
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June 17, 2026
IT Distributor Accused Of Withholding $27M In Tax Benefits
An information technology distributor has refused to pay electronic components distributor Avnet at least $27 million of tax credits and refunds, breaching a 2016 acquisition agreement between the two companies, according to a complaint in a New York federal court.
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June 17, 2026
Varian Owes $7.2M After Deduction Limited, Tax Court Says
Varian Medical Systems owes more than $7.2 million to the IRS as a result of the U.S. Tax Court limiting its deemed dividends deduction, the court said, accepting an agreement reached between the parties.
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June 17, 2026
Advisory Group Calls For IRS Modernization, Funding
The Internal Revenue Service should look to continue to improve its technology capabilities — including by adopting some artificial intelligence capabilities — an advisory committee said, emphasizing that such work requires more sustained and predictable financing.
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June 16, 2026
Research Credit OK'd In 4 Of 6 Middle East Building Projects
Owners of an Illinois architectural firm that undertook six building projects in the Middle East may be eligible to claim research credits for four of the projects because the firm retained substantial rights under those contracts, the U.S. Tax Court held Tuesday.
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June 16, 2026
2nd Circ. Won't Let Man Reverse Tax Plea Over Bad Advice
The Second Circuit issued a summary order Tuesday affirming the conviction of a Connecticut man who pled guilty to tax crimes, disagreeing that allegedly misleading advice from trial attorneys about the immigration implications of his plea warranted his withdrawing it.
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June 16, 2026
IRS Updates Corp. Bond Monthly Yield Curve For June
The IRS updated the corporate bond monthly yield curve used in calculations for defined benefit plans for June on Tuesday, as well as corresponding segment rates and the interest rate for 30-year U.S. Treasury Department securities.
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June 16, 2026
Israeli Law Firm Has No Case Against GILTI Regs, Gov't Says
An Israeli law firm cannot challenge IRS regulations implementing the 2017 tax law's global intangible low-taxed income regime largely because any connected compliance burden is borne by its U.S. shareholder, not the firm itself, the government told a D.C. federal court.
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June 16, 2026
Justices' Penalty Ruling Won't Sink Tax Case, 5th Circ. Told
The U.S. Supreme Court's recent decision upholding federal agency fines without a jury trial doesn't undermine a challenge against IRS penalties tied to a charitable tax deduction for a Louisiana conservation easement contribution, the partnership donor told the Fifth Circuit.
Expert Analysis
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Despite Dark Clouds, Outlook For US Solar Has Bright Spots
While tariff, tax policy and bankruptcy news seemingly portends unending challenges for the U.S. solar energy industry, signs of continued growth in solar generating capacity and domestic solar manufacturing suggest that there is a path forward, say attorneys at Beveridge & Diamond.
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Law School's Missed Lessons: Communicating With Clients
Law school curricula often overlook client communication procedures, and those who actively teach this crucial facet of the practice can create exceptional client satisfaction and success, says Patrick Hanson at Wiggam Law.
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Bill Leaves Renewable Cos. In Dark On Farmland Reporting
A U.S. Senate bill to update disclosure requirements for foreign control of U.S. farmland does not provide much-needed guidance on how to report renewable energy development on agricultural property, leaving significant compliance risks for project developers, say attorneys at Hodgson Russ.
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Adapting To Private Practice: From US Rep. To Boutique Firm
My transition from serving as a member of Congress to becoming a partner at a boutique firm has been remarkably smooth, in part because I never stopped exercising my legal muscles, maintained relationships with my former colleagues and set the right tone at the outset, says Mondaire Jones at Friedman Kaplan.
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IRS Should Work With Industry On Microcaptive Regs
The IRS should engage with microcaptive insurance owners to develop better regulations on these arrangements or risk the emergence of common law guidance as taxpayers with legitimate programs seek relief in the federal courts, says Dustin Carlson at SRA 831(b) Admin.
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CARES Act Fraud Enforcement Is Unlikely To Slow Down
In the five years since the passage of the Coronavirus Aid, Relief and Economic Security Act, the federal government has devoted massive resources to investigating CARES Act fraud — and all signs suggest the U.S. Department of Justice will continue vigorous enforcement in this area, say attorneys at Kostelanetz.
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Spinoff Transaction Considerations For Biotech M&A
Amid current market challenges, boards and management teams of biotech companies can consider several strategies for maximizing value should a spinoff opportunity arise, but not without significant advance planning and careful implementation, particularly in cases that might qualify as tax-free, say attorneys at Paul Hastings.
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Senate's 41% Litigation Finance Tax Would Hurt Legal System
The Senate’s latest version of the Big Beautiful Bill Act would impose a 41% tax on the litigation finance industry, but the tax is totally disconnected from the concerns it purports to address, and it would set the country back to a time when small plaintiffs had little recourse against big defendants, says Anthony Sebok at Cardozo School of Law.
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Drawbacks For Taxpayers From Justices' Levy Dispute Ruling
The Supreme Court's June decision in Commissioner v. Zuch, holding the Tax Court lacks jurisdiction to resolve disputes where the IRS has stopped pursuing a levy, may require taxpayers to explore new tactics for mitigating the increased difficulty of appealing their liability via collection due process hearings, says Matthew Roberts at Meadows Collier.
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How Energy Cos. Can Prepare For Potential Tax Credit Cuts
The Senate Finance Committee's version of the One Big Beautiful Bill act would create a steep phaseout of renewable energy tax credits, which should prompt companies to take several actions, including conduct a project review to discern which could begin construction before the end of the year, say attorneys at Husch Blackwell.
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DOJ Has Deep Toolbox For Corporate Immigration Violations
With the U.S. Department of Justice now offering rewards to whistleblowers who report businesses that employ unauthorized workers, companies should understand the immigration enforcement landscape and how they can reduce their risk, say attorneys at McDermott.
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Trade In Limbo: The Legal Storm Reshaping Trump's Tariffs
In the final days of May, decisions in two significant court actions upended the tariff and trade landscape, so until the U.S. Supreme Court rules, businesses and supply chains should expect tariffs to remain in place, and for the Trump administration to continue pursuing and enforcing all available trade policies, say attorneys at Ice Miller.
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Del. Dispatch: General Partner Discretion In Valuing Incentives
In Walker v. FRP Investors, the Delaware Court of Chancery recently held that the general partner of a limited partnership breached its obligations when determining the threshold value of newly issued incentive units, highlighting the court's willingness to reconstruct what a reasonable determination of value by a general partner should have been, say attorneys at Fried Frank.