Tax

The National Law Review has articles from experts, detailing legal analysis of tax issues. We cover both personal tax-law implications, as well as tax legislation which impacts public and private businesses.  In addition to covering these topics, The National Law Review also covers topics from estate planning to gift-deductions, tax-exempt bonds, and business succession planning. Additionally, NLR covers Proxy disclosures, new business organizations, transfer taxes, and other areas of tax law which are governed by the Internal Revenue Service (IRS).

The recently passed Tax Cuts and Jobs Act legislation has greatly impacted tax-law in the United States for the 2018 tax-filing year. In addition to covering issues like cross-border transactions, how individual tax rates will be affected, international implications, tax-treaty compliance, and foreign tax credit planning, The National Law Review also uploads various cases relating to the Internal Revenue Code (IRC).

Visitors to NLR can find articles on tax reform, tax incentives, like-kind exchanges, implications of mergers and acquisitions in the business-realm, and changes to the IRC, such as the personal-performance elimination under IRC 162(m).  Both the private and public (small and large corporation) sector has greatly shifted after the HR-1 legislation was passed at the end of 2017.

Tax analysis for best practices on Estate Planning and Wealth transfer strategies are available on the site, including information on how to take advantage of estate planning strategies available under the TCJA.  Information related to trusts and State and Local Tax, or SALT, is also covered.  Additionally, readers can find articles on tax-related elements of mergers, sales and acquisitions, joint ventures, cross-border transactions, public-private partnerships, reorganizations and real estate transactions.

For hourly updates on the latest IRS and tax law news, be sure to follow our Tax Law Twitter feed, and sign up for complimentary e-news bulletins.

Custom text Title Organization
Nov
2
2016
Italian Revenue Agency Ruling Reaffirms Substitute Tax Applies to Refinancing Transactions McDermott Will & Emery
Nov
1
2016
Supreme Court Grants Certiorari in Case Involving Auer Deference McDermott Will & Emery
Nov
1
2016
Trends and Tips – Tax Equity for Mid-Market Energy Projects Mintz
Nov
1
2016
China Implements New Charity Law Covington & Burling LLP
Oct
31
2016
APA Challenge to Notice of Deficiency: QinetiQ Oral Arguments McDermott Will & Emery
Oct
31
2016
Hints about New IRS 871(m) Withholding Guidance Greenberg Traurig, LLP
Oct
28
2016
IRS Restates EPCRS Correction Methods and Procedures McDermott Will & Emery
Oct
27
2016
IRS Announces Employee Benefit Plan Limits for 2017 McDermott Will & Emery
Oct
27
2016
2017 Cost of Living Adjustments for Retirement Plans Jackson Lewis P.C.
Oct
27
2016
Internal Revenue Service: 2017 Cost of Living Adjustments Varnum LLP
Oct
27
2016
Tax Evasion - Nowhere Left to Hide K&L Gates
Oct
27
2016
IRS Issues Proposed Regulations on Income from Commodity Subsidiaries Vedder Price
Oct
26
2016
State and Local Tax Implications of Final Section 385 Debt-Equity Regulations McDermott Will & Emery
Oct
26
2016
Why Non-Taxpaying Entities Should Care About Allocations of Taxable Income: What’s in Your Partnership Agreement? Squire Patton Boggs (US) LLP
Oct
24
2016
IRS Revokes Favorable PLR Concerning Ability of Tribe to Pass ITCs to Lessee in Master-Tenant Structure Foley & Lardner LLP
Oct
24
2016
Former Tax Court Judge Pleads Guilty to Tax Crimes McDermott Will & Emery
Oct
24
2016
Application of New Debt-Equity Regulations to Securitizations Cadwalader, Wickersham & Taft LLP
Oct
24
2016
Controversial Debt-Equity Regulations Finalized With Limited Fixes, Concessions and Reservations by Government Cadwalader, Wickersham & Taft LLP
Oct
21
2016
Digital Tax Update – Local Edition McDermott Will & Emery
Oct
21
2016
FAR Council Finalizes Rule Imposing Restrictions On Contracting With Companies With Felony Convictions And Delinquent Tax Liabilities Covington & Burling LLP
Oct
19
2016
No Ostrich Here: Qui Tam Victory for Taxpayer from the Illinois Appellate Court Horwood Marcus & Berk Chartered
Oct
19
2016
Illinois Appellate Court Delivers Another Blow to Relator in False Claims Act Litigation McDermott Will & Emery
Oct
18
2016
Partnership Tax Audit Reform and Private Funds Foley & Lardner LLP
Oct
18
2016
October 2016 State Tax Credits & Incentives Update Horwood Marcus & Berk Chartered
Oct
18
2016
SCOTUS Asked to Hear Appeal Involving Constitutionality of Retroactive Tax Legislation McDermott Will & Emery
Oct
17
2016
Administrative Court or Art Critic? Cook County’s Latest Attempt to Expand the Application of the Amusement Tax Ordinance Horwood Marcus & Berk Chartered
Oct
17
2016
Bill to Simplify State Tax Withholding on Mobile Workers Passes House Greenberg Traurig, LLP
Oct
14
2016
Where Do The 2016 Election Candidates Stand On Tax-Exempt Bonds? Squire Patton Boggs (US) LLP
Oct
13
2016
IRS Issues IPU on Identifying Foreign Goodwill or Going Concern McDermott Will & Emery
Oct
13
2016
Illinois Tax Levy Filing Deadline is December 27, 2016 Heyl, Royster, Voelker & Allen, P.C.
Oct
13
2016
Types of Tax Court Opinions and Their Precedential Effect McDermott Will & Emery
Oct
13
2016
Phone and Email Scams: Is it REALLY the IRS? Stark & Stark
Oct
12
2016
IRS Uncertain Tax Position Filings Continue to Rise McDermott Will & Emery
Oct
12
2016
IRS Updates Its Correction Program for Certain Retirement Plans Faegre Drinker
Oct
12
2016
Final IRS Regulations Simplify Pension Plan Requirements for Partial Annuity Distributions McDermott Will & Emery
Oct
10
2016
New IRS, Treasury Partnership Tax Guidance on Disguised Sales and Liability Allocations Bracewell LLP
Oct
10
2016
Deference Denied to IRS Notice Issued Post-Litigation McDermott Will & Emery
Oct
9
2016
Should You Keep Your Individually-Designed Qualified Plan? Armstrong Teasdale
Oct
7
2016
More on IRS Rev. Proc. 2016-44: What Light Is Shed on Net Profits Compensation? Squire Patton Boggs (US) LLP
Oct
7
2016
Say Goodbye to Leveraged Partnership Transactions: New Federal Income Tax Regulations Address Disguised Sales and Allocations of Partnership Debt Hunton Andrews Kurth
Oct
6
2016
New Proposed Regulated Investment Companies Regulations Greenberg Traurig, LLP
Oct
6
2016
Revenue Procedure 2016-44 Expands Management Contract Safe Harbor Barnes & Thornburg LLP
Oct
6
2016
New Jersey Estate Tax Repeal Stark & Stark
Oct
6
2016
IRS Issues New EPCRS Guidelines to Coordinate with Limited Determination Letter Program Proskauer Rose LLP
Oct
6
2016
Wealth Transfer Planning By the Numbers: Unofficial 2017 Exclusions and Brackets ArentFox Schiff LLP
Oct
5
2016
The Road to Higher Out-of-Pocket Medical Costs is Paved with Good Intentions: The Unintended Consequences of High Deductible Health Plans Sheppard, Mullin, Richter & Hampton LLP
Oct
4
2016
Without Fanfare: IRS Issues New Revenue Procedure on Employee Plans Compliance Resolution System Morgan, Lewis & Bockius LLP
Oct
4
2016
IRS Appeals – Changes Afoot? McDermott Will & Emery
Oct
4
2016
New IRS Procedure Expands Safe Harbors for Management Contracts with Tax-Exempt Borrowers Godfrey & Kahn S.C.
Oct
3
2016
Tax Court Anticipates Releasing Revisions to its Rules in the Near Future McDermott Will & Emery
 

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