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Godfrey & Kahn S.C.
The Department of Treasury and the Internal Revenue Service (IRS) have recently released updated guidance relating to the 2024 Program Year for the Section 48(e) Low-Income Communities...
Kaufman Rossin
With regular operations back in full force, the IRS and federal government are giving additional attention to tax compliance.
Caplin & Drysdale
In a reviewed opinion, Valley Park Ranch,[1] the Tax Court thoughtfully reconsidered its position on the validity of the so-called "proceeds regulation", Treas. Reg. § 1.170A-14(g)(6)(ii)...
Linklaters
The Infocast Solar + Wind Finance & Investment Summit, held on March 12, 2024, featured a distinguished panel, moderated by Linklaters' tax partner Michael Rodgers...
Theta Lake
The toggle tax is a concept introduced by Harvard Business Review to describe the amount of time users spend (and waste) toggling between their different workplace applications.
Holland & Knight
The U.S. Department of the Treasury and IRS on April 10, 2024, issued a supplemental notice of proposed rulemaking (NPRM)...
Steptoe LLP
At the end of last year, Treasury and the IRS issued controversial proposed regulations to implement the new section 45V clean hydrogen production tax credit ...
Plunkett & Cooney
When you owe the IRS or a state taxing authority back taxes, but you have limited means to pay them, it's always good to have options.
Carter Ledyard & Milburn
While the last year saw several uncertainties for business in the U.S. and globally, our clients continued to overcome challenges and even thrive.
Plunkett & Cooney
The IRS offers two important collection alternatives for individuals seeking freedom from tax debt. They are known as the "Offer-in-Compromise" and the status known as "Currently Not Collectible."
Winston & Strawn LLP
The world of professional sports has seen its share of activity in recent weeks, with the new NFL league year and free-agency-signing period opening and the sights and sounds of MLB Opening Day filling the air in recent weeks.
Steptoe LLP
Partner Lauren Azebu authored an article titled "Offshore and Out of Mind: Reporting Foreign Assets and Gifts" for The Tax Adviser.
Holland & Knight
In holding that that Treas. Reg. § 1.170A-14(g)(6)(ii) (Proceeds Regulation) is procedurally invalid under the Administrative Procedure Act (APA), the U.S. Tax Court abandoned...
Crowell & Moring LLP
Tax partner Carina Federico and Tax counsel Eleanor Moran McWaters discuss IRA and Tax Exempt Entities.
Gray Reed & McGraw LLP
In a recent Tax Court decision, the court reviewed the activities of the Huffman family as it pertained to corporate dealings involving the family aviation business...
Caplin & Drysdale
Taxpayers watching the U.S. Supreme Court for the outcome of Moore v. U.S., No. 22-800, can do more than wait. As suggested in the firm's earlier alert (see here)...
Alvarez & Marsal
The Internal Revenue Service (IRS) has announced that its compliance efforts have protected over $1 billion in revenue since last fall, focusing on erroneous Employee Retention Credit (ERC) claims.
Akin Gump Strauss Hauer & Feld LLP
The Department of the Treasury published new guidance on securing bonus tax credits within the Inflation Reduction Act (P.L. 117-169; IRA)...
Alvarez & Marsal
The pharmaceutical and biotech industries are constantly developing, testing and patenting new medicines and drugs for release into the market.
Greenberg Traurig, LLP
On March 11, the Treasury Department and Internal Revenue Service (IRS) issued final regulations (Final Regulations) under Section 6417 of the Internal Revenue Code (Code), providing rules...
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