New York Law Journal | Analysis
By Michael B. Kaufman and Joseph A. Giglio | October 12, 2023
Section 1202 of the Internal Revenue Code provides substantial benefits to non-corporate shareholders of certain C corporations. Clients should be aware of the benefits and risks associated with forming or acquiring different types of entities.
By Sofya Uvaydov and Tim Capowski | October 12, 2023
In personal injury claims where the two sides have disparate valuations based in part on substantial interest accrual, there exists an underused tool for bridging the difference and reaching an accord.
By Alex Anteau | October 5, 2023
"I've done a lot of class action work and I've never seen a case better suited for class certification. We were shocked when we got the court's email," plaintiff-appellant counsel said.
By Brenda Sapino Jeffreys | October 5, 2023
Shawn O'Brien, who joined McDermott Will & Emery on Monday as a partner in Houston in the tax practice group, had been global co-head of the tax-energy group.
New York Law Journal | Analysis
By Sidney Kess | September 27, 2023
Most tax-related informational-type returns are filed with the IRS in coordination with income tax filing deadlines. However, there is at least one major deadline involving foreign assets that now requires filing with the Treasury. Another major reporting development involving the IRS and third-parties includes new filing rules.
By Abigail Adcox | September 22, 2023
Law firm hiring from the government remains active as demand has grown within litigation and regulatory practices in recent quarters.
By Cedra Mayfield | September 22, 2023
"[T]he lease payments Funvestment makes to Tiny Towne for its lease of the COAMs—which also constitute income to Tiny Towne—are exempt from sales and use taxes under OCGA § 48-8-3 (43)," the Supreme Court of Georgia ruled. "Funvestment is not obligated to pay nor is Tiny Towne obligated to remit any sales and use taxes to the DOR on these lease revenues."
New York Law Journal | Analysis
By Jeffrey A. Galant | September 21, 2023
Selling taxpayers often ignore or fail to appreciate the full picture of their sale transaction. This article examines two recent Tax Court cases in which taxpayers incorrectly accounted for the consideration received as sellers of property.
New York Law Journal | Analysis
By Joseph Lipari and Aaron Gaynor | September 20, 2023
The 'Jefferies Group and Subsidiaries' case involved refund claims of over $10 million. While the Tax Division, among other challenges, objected to numerous positions taken on the corporate returns, the New York State Division of Tax Appeals rejected almost all claims made by the Tax Division.
By Ellen Bardash | September 18, 2023
The lawsuit seeks a declaration that the IRS was negligent and violated the Privacy Act by disclosing Biden's tax details as well as $1,000 in damages for every unauthorized disclosure
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