The US Supreme Court’s recent decision in Loper Bright Enterprises v. Raimondo and Relentless Inc. v. Department of Commerce marked the end of an era of judicial deference to agencies’ interpretations of federal law, including the US Department of the Treasury and the IRS. Join us on July 17 as we discuss the impacts of the decision, including how it may affect tax regulations and what it means for taxpayers. Register: https://bit.ly/4bGjx0d
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Just one more plug before tomorrow for our tax webinar on action steps for taxpayers and tax advisors after Loper Bright. To be highlighted by my colleagues Jennifer Breen and Jamie Steele!
The US Supreme Court’s recent decision in Loper Bright Enterprises v. Raimondo and Relentless Inc. v. Department of Commerce marked the end of an era of judicial deference to agencies’ interpretations of federal law, including the US Department of the Treasury and the IRS. Join us on July 17 as we discuss the impacts of the decision, including how it may affect tax regulations and what it means for taxpayers. Register: https://bit.ly/4bGjx0d
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Partner Julie Bradlow's latest article dissects the recent U.S. Tax Court ruling on the exception to net earnings from self-employment for limited partners in state law limited partnerships. Access her insightful analysis by clicking the link below. https://hubs.ly/Q02qzrh70 #TaxLaw #IRS #LegalInsights #DarrowEverett
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Principal, Jackel Tax Law; Contributor Tax Notes; Elected Member, American Law Institute (ALI); Fellow, American College of Tax Counsel (ACTC); Member DC, NYSBA, ABA tax sections; Special Tax Advisor.
This is an excellent summary and analysis of the law. But I noted that there is nothing in this excellent analysis that questions whether Treasury and the IRS should be acting as tax administrator looking to provide the best answer or whether Treasury and the IRS should act as advocates for a legal position. I wrote in Tax Notes about five years back that Treasury has developed a habit of failing to cite, mention or distinguish contrary or arguably contrary authority. The IRS is not a "tribunal" upon which the ABA Model Rules of Professional Conduct impose such a requirement upon opposing counsel. But shouldn't the IRS adopt best practices or must Congress amend the APA to require it. See https://lnkd.in/gQVPG43S. Tax Notes
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There are some commonly litigated issues that by examining we can perhaps gain some insight into the inner workings of the IRS. Interestingly, the Internal Revenue Code (“IRC”) section 7803(c)(2)(B)(ii)(XI) requires the National Taxpayer Advocate (“NTA”) to identify in his/her/their Annual Report to Congress the ten tax issues most litigated in federal courts. https://lnkd.in/eqTyvjih
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If you know me, you know one of my most favorite topics is criminal tax enforcement!! Looking forward to appearing with this great group of esteemed panelists at the NYU Tax Controversy Forum.
Former Chief, IRS Criminal Investigation, Chief Business Officer, IVIX. Director Of Investigations at Kostelanetz LLP.
I'm honored to be moderating a panel next week at the NYU Tax Controversy Forum with critical updates in the world of Criminal Tax Enforcement. Hear from Government experts IRS Criminal Investigation Chief Guy Ficco and AUSA Caryn Finley. Jeremy Temkin and Jason B. Freeman will provide important updates from the practitioner perspective. Please join us, Thursday, June 27th at 9:45 a.m.
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Dive into the ramifications of the recent Supreme Court decision in Loper Bright Enterprises v. Raimondo on our latest episode. We break down the impact on the tax regulatory landscape and what it means for future legal precedents. #InternationalTax #KPMGTax https://bit.ly/4dw9HPW
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🌟 Meet David Cay Johnston, the Pulitzer Prize-winning investigative journalist who's demystifying the complex world of tax laws! 📊 Known for his deep dives into income tax preparation and compliance, Johnston reveals how the wealthy and big corporations often exploit loopholes in the system. 💼 His groundbreaking work, including must-read books like "Perfectly Legal," has profoundly enhanced our understanding of these critical issues. 📰 Plus, with DCReport.org, he's holding power to account and spotlighting the intricacies of economic policies that affect us all. 🌐 #TaxExpert #InvestigativeJournalism #DavidCayJohnston #TaxCompliance #PulitzerPrize #EconomicPolicy #TaxJustice #WealthInequality
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🌟 Meet David Cay Johnston, the Pulitzer Prize-winning investigative journalist who's demystifying the complex world of tax laws! 📊 Known for his deep dives into income tax preparation and compliance, Johnston reveals how the wealthy and big corporations often exploit loopholes in the system. 💼 His groundbreaking work, including must-read books like "Perfectly Legal," has profoundly enhanced our understanding of these critical issues. 📰 Plus, with DCReport.org, he's holding power to account and spotlighting the intricacies of economic policies that affect us all. 🌐 #TaxExpert #InvestigativeJournalism #DavidCayJohnston #TaxCompliance #PulitzerPrize #EconomicPolicy #TaxJustice #WealthInequality
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Dive into the ramifications of the recent Supreme Court decision in Loper Bright Enterprises v. Raimondo on our latest episode. We break down the impact on the tax regulatory landscape and what it means for future legal precedents. #InternationalTax #KPMGTax https://bit.ly/46AIDN2
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Dive into the ramifications of the recent Supreme Court decision in Loper Bright Enterprises v. Raimondo on our latest episode. We break down the impact on the tax regulatory landscape and what it means for future legal precedents. #InternationalTax #KPMGTax https://bit.ly/3Su6mbR
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