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Patrick Mahomes & Travis Kelce 1587 Lawsuit Isn’t What ‘Most People Assume,’ Legal Expert Says
NFL stars Patrick Mahomes and Travis Kelce face a lawsuit connected to their 1587 Prime steakhouse, but the legal battle centers on corporate structure and jurisdiction rather than trademark infringement. Litigation expert James Molen breaks down the key arguments and what could determine whether the athletes remain defendants in this case.
United States Litigation
GG
Greenberg Glusker LLP
Podcast
Alternative Power Plays: Inside The World Of Competitive Wholesale Power With EPSA’s Todd Snitchler – Part 1 (Podcast)
Hosts John Povilaitis and Alan Seltzer sit down with Todd Snitchler, president and CEO of the Electric Power Supply Association (EPSA), to explore how competitive wholesale power markets operate in America. The conversation examines the structure of regional transmission organizations, the differences between restructured and vertically integrated utility models, and how the explosive growth of data centers is reshaping load forecasting and grid planning across the country.
United States Energy
BI
Buchanan Ingersoll & Rooney PC
Article
Managing Private Capital In College Athletics: A Fiduciary Framework For University Decision-Makers
As multi-billion dollar NIL markets, revenue sharing, media rights, and private investment reshape college athletics economics, university leaders face the challenge of balancing competitive ambitions with fiduciary responsibility and institutional mission. This comprehensive framework examines how institutions can evaluate strategic alternatives, assess valuation and governance risks, and structure private capital transactions that preserve autonomy while maximizing economic value.
United States Media & IT
HL
Hogan Lovells Cadwalader
Article
IRS Issues Proposed Regulations Excluding Income From Certain Property Sales From FDDEI Under Section 250(b)(3)(A)(i)(VII)
The U.S. Treasury and IRS have issued proposed regulations addressing a new category of income excluded from deduction eligible income under section 250(b)(3)(A)(i)(VII), which was introduced by the One Big Beautiful Bill Act. These regulations clarify how income from sales of intangible property and certain depreciable assets will be treated under the foreign-derived deduction eligible income regime, with significant implications for software transactions and related party transfers.
United States Tax
AO
A&O Shearman
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