Federal

  • March 03, 2023

    Trumps Want NY AG's Fraud Suit Delayed To Review Evidence

    Donald Trump, his adult children and the Trump Organization asked a New York state judge Friday to push back discovery deadlines in the attorney general's financial fraud case, despite a judge's previous vow to start a trial in October "come hell or high water."

  • March 03, 2023

    Nonprofit Urges Justices To Curb 'Avaricious' Takings

    Minnesota's "avaricious" practice of allowing local governments to keep the surplus proceeds from seized property to satisfy a smaller debt violates the Fifth Amendment's takings clause, attorneys for the Atlantic Legal Foundation told the U.S. Supreme Court on Friday.

  • March 03, 2023

    Treasury Working On Easement Law Guidance, Official Says

    The U.S. Department of the Treasury is working to issue guidance by April 28 on how taxpayers can amend conservation easement deeds to align with a new law that limits charitable tax deductions for partnership-donated easements, an official said Friday.

  • March 03, 2023

    Easement LLC Sale Gains Ruled Ordinary Income

    Gains earned by a seller of interests in limited liability companies that engage in easement donation transactions counts as ordinary income, the Internal Revenue Service said in a memorandum released Friday.

  • March 03, 2023

    TurboTax User In Privacy Suit Says Co. Won't Share Evidence

    Intuit is refusing to hand over log-in records for its TurboTax website that the company claims forbid a proposed class action accusing Intuit of illegally sharing users' video histories with Facebook, the user who filed the suit told an Illinois federal court.

  • March 03, 2023

    Taxation With Representation: Wachtell, Vinson, Cravath

    In this week's Taxation With Representation, LKQ Corp. will acquire Uni-Select Inc., Baytex Energy Corp. agreed to buy Ranger Oil Corp., and Radius Global Infrastructure Inc. is to be acquired by EQT Partners and a Canadian pension fund.

  • March 03, 2023

    Weekly Internal Revenue Bulletin

    The Internal Revenue Service released its weekly bulletin, which included a revenue ruling stating that the short-term applicable federal rate for income tax purposes increased in March, while other rates declined.

  • March 03, 2023

    Water Rights Count As Real Property, IRS Says

    Several ranch owners' rights to divert river water during a certain time of year constitutes real property for the purposes of a tax code statute on like-kind exchanges, the Internal Revenue Service said in a private letter ruling released Friday.

  • March 03, 2023

    IRS To Accept Applications For Low-Income Tax Clinic Grants

    The Internal Revenue Service will start accepting applications for supplemental low-income taxpayer clinic grants for 2023 on Tuesday, the agency said Friday.

  • March 02, 2023

    Senate's Tax Whistleblower Bill Would Secure Rewards

    Whistleblowers who report tax cheats to the Internal Revenue Service would see expanded protections, including a presumption of anonymity in court and guaranteed reward amounts, under a bill introduced in the U.S. Senate on Thursday by Sen. Chuck Grassley, R-Iowa.

  • March 02, 2023

    GOP Reps. Press IRS For Details On Tax Info Disclosure

    Two House of Representatives lawmakers pressed the Internal Revenue Service for answers Thursday on a pair of 2022 disclosures of confidential taxpayer data from business income tax returns that nonprofits use, including names and business contact details.

  • March 02, 2023

    Treasury Urged To Toss 'Look-Through' Ownership Proposal

    Treasury should scrap proposed rules that would, in a manner of speaking, look through ownership structures to determine whether real estate investment entities are domestically controlled — a status that includes certain tax exemptions for foreign shareholders, the American Bar Association's Tax Section recommended.

  • March 02, 2023

    IRS Can't Review Most Penalties Imposed In $2.2M FBAR Case

    The Internal Revenue Service cannot review the bulk of penalties it assessed in a $2.2 million case against a taxpayer for failing to report his foreign bank accounts, an Arizona federal court has ruled.

  • March 02, 2023

    Calif. Man's Education Credit Claim Denied By Tax Court

    A California man isn't entitled to tax credits for educational expenses for 2016 because he didn't satisfy the court that he paid the expenses for which the credits were taken, the U.S. Tax Court said Thursday.

  • March 02, 2023

    Belize Co. Not Entitled To US Exemption, Tax Court Says

    A Belize-based seller of annuity contracts doesn't qualify for a U.S. tax exemption because its gross receipts exceeded the $600,000 statutory threshold for life insurance companies seeking exemption, the U.S. Tax Court said Thursday.

  • March 02, 2023

    Sens. Urge White House To Pursue Tax Treaty With Taiwan

    A bipartisan group of U.S. senators announced legislation Thursday pushing for the administration of President Joe Biden to negotiate a tax treaty with Taiwan, an agreement they said would strengthen economic ties with the self-governing island.

  • March 02, 2023

    Calif. Man Owes $3K Deficiency For 2017, Tax Court Says

    A California man owes a tax deficiency of just more than $3,000 for 2017 because just under $34,000 he received was taxable income, the U.S. Tax Court said Thursday.

  • March 02, 2023

    Senate Tax Panel Approves Biden's IRS Commissioner Pick

    The Senate Finance Committee on Thursday approved President Joe Biden's nomination of former acting IRS Commissioner Daniel Werfel to lead the agency, clearing the path for a full Senate vote.

  • March 02, 2023

    Justices Urged To Review Full Payment Rule For Tax Suits

    The U.S. Supreme Court should revisit a rule it endorsed in 1960 requiring that people pay the full amount of their taxes owed before they challenge the liability in federal district court, a Florida man told the justices.

  • March 02, 2023

    JCT Got $24B In Refund Cases To Review In 2021, 2022

    The Joint Committee On Taxation was tasked with reviewing refunds cumulatively worth over $24 billion in 2021 and 2022, the committee said in a report released Thursday.

  • March 02, 2023

    Ex-IBM Worker Drops $265M Whistleblower Suit Over IRS Deal

    A former IBM employee who accused the software giant of tricking the IRS into buying $265 million of its products dropped his case after a decade of litigation aimed at whistleblowing, according to documents filed in D.C. federal court.

  • March 02, 2023

    New Easement Law May Render IRS Reporting Rule Unneeded

    A new law authorizing the IRS to limit deductions for so-called syndicated conservation easements may undercut the usefulness of a proposed regulation that would mandate reporting for such transactions, some experts said, while others said the measures may work well in tandem.

  • March 02, 2023

    US Auto Cos. Look To Clear Obstacles To Fully Electric Future

    As Michigan’s automakers pledge to invest billions into domestic battery factories, industry lawyers say there are still plenty of compliance hurdles to overcome before the country can fully embrace an electrification renaissance.

  • March 02, 2023

    IRS Taxpayer Advocacy Panel Gets 8 More Members

    The Internal Revenue Service's Taxpayer Advocacy Panel has another eight new members for 2023 to advise the agency on its customer service and satisfaction, the IRS said Thursday.

  • April 01, 2022

    IRS Adds New Members To Taxpayer Advocacy Panel

    The Internal Revenue Service's Taxpayer Advocacy Panel will welcome 25 new members in 2022 to advise the agency on its customer service and satisfaction, the IRS said Friday.

Expert Analysis

  • Corporate Reporting Considerations As Tax Meets ESG

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    With the U.S. Securities and Exchange Commission filing season upon us amid increasing pressure for greater transparency around effective tax rates and tax strategies, multinational companies must decide how they will approach voluntary tax reporting and prepare their responses if they want to control the narrative, say Michael Lebovitz and Jenny Austin at Mayer Brown.

  • How To Navigate Equity Rollovers In A Tight M&A Market

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    As heavy competition for acquisition targets allows buyers to be more flexible in fulfilling their desire for management to roll equity and invest with them, businesses should be mindful that equity rollover transactions, which take many forms, also require thorough review as part of the overall transaction assessment, says Joshua Klein at Neal Gerber.

  • 11th Circ. Ruling Moves Circuits Closer To Tax Procedure Split

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    The Eleventh Circuit's recent decision in the conservation easement case Hewitt v. Commissioner of Internal Revenue, holding a long-standing tax regulation procedurally flawed under the Administrative Procedure Act, is unusual and may presage a circuit split over the APA's applicability in tax cases, say Maria Jones and Samuel Lapin at Miller & Chevalier.

  • How Justices May Interpret Statutory Time Bar In Tax Context

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    In Boechler PC v. Commissioner, the U.S. Supreme Court will rule on whether a tax court filing deadline acts as a jurisdictional limitation, and whether to broaden a jurisprudential trend that requires Congress to clearly state its intent if statutory time periods are to limit jurisdiction, say Saul Mezei and Terrell Ussing at Gibson Dunn.

  • Money Laundering Regs Too Unwieldy To Police Art Market

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    As the arts and antiquities trade awaits the U.S. Department of the Treasury's new money laundering regulations — which apply the Bank Secrecy Act to the arts for the first time — whether they are reasonable, optimal or practical remains in question, says Alexandra Darraby at The Art Law Firm.

  • Why US Businesses May Stop Accepting Cryptocurrency

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    New reporting requirements from the IRS and Financial Crimes Enforcement Network could be game changers that dramatically curtail U.S. businesses that accept cryptocurrency, says cybersecurity consultant John Reed Stark.

  • The Highs And Lows Of Tax Controversy In 2021

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    Lawrence Hill at Steptoe & Johnson reviews the ups and downs of tax controversy practice in 2021, including the continued effects of the pandemic, troubling decisions on attorney-client privilege and an IRS comeback on transfer pricing.

  • A Look At Tax Treatment Of Noncompetes In M&A: Part 2

    Excerpt from Practical Guidance
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    Covenants that restrict a seller of business assets from competing against the purchasing party can be prone to challenges because the allocation of value to intangible assets is a subjective exercise with significant tax implications that may affect the merits of the deal, says Peter Miller at LexisNexis.

  • A Look At Tax Treatment Of Noncompetes In M&A: Part 1

    Excerpt from Practical Guidance
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    In negotiating to consummate a deal, parties must pay attention to the tax consequences of covenants that restrict a seller of business assets from competing against the purchasing party, says Peter Miller at LexisNexis.

  • How Budget Bill Could Affect Employer Health, Benefit Plans

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    Following the House's recent passage of President Joe Biden’s $1.75 trillion spending bill — the Build Back Better Act — employers should carefully consider several of the proposal’s health care and benefits provisions, which could pose immediate compliance challenges if the act is signed into law this year, say Anne Hall and Tim Kennedy at Hall Benefits Law.

  • 3 Forces That Will Define Sales Tax Compliance In 2022

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    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.

  • When And How To Depose Fact Witnesses Remotely In 2022

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    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.

  • EU, US Carbon Import Tax Proposals: What Cos. Must Know

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    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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