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
Aug
3
2016
Law School Professors File Amicus Briefs in Support of Commissioner’s Position in Altera McDermott Will & Emery
Aug
3
2016
Proposed Treasury Regulations Provide Additional Flexibility, Clarity and Planning Opportunities to Sponsors of Deferred Compensation Arrangements Katten
Aug
3
2016
Brexit, Privacy Shield, Greenhouse Gas, Tax Transparency: EU Policy Update August 2016 Covington & Burling LLP
Aug
2
2016
IRS Announces Fines Paid to FINRA Are Not Deductible Morgan, Lewis & Bockius LLP
Aug
1
2016
Issuance of IRS Estate Tax Closing Letters Holland & Hart LLP
Aug
1
2016
Withholding Tax Contrary to EU Law: The Brisal Case Katten
Aug
1
2016
Wittman v. Koenig, Another Decision on Annuity Exemptions - But Sometimes You Get What You Need Squire Patton Boggs (US) LLP
Aug
1
2016
Proposed Changes to Form 5500 Reporting Requirements May Have Significant Impact on Retirement Plan Sponsors McDermott Will & Emery
Jul
31
2016
IRS Clarifies Section 457 Exemptions for Bona Fide Severance Pay Plans and Other Benefit Plans Faegre Drinker
Jul
28
2016
Tax Case Sparks Shareholder Derivative Suit McDermott Will & Emery
Jul
28
2016
Proposed Regulations Under Section 355 Clarify Device and Active Trade or Business Requirements for Spin-offs Proskauer Rose LLP
Jul
28
2016
IRS Tax Treatment of Wellness Program Benefits Heyl, Royster, Voelker & Allen, P.C.
Jul
28
2016
Financing Themeparks: Bondholders of the Lost Ark Squire Patton Boggs (US) LLP
Jul
28
2016
Unemployment Compensation Tax Per-Employee Surcharge Drops Dinsmore & Shohl LLP
Jul
27
2016
IRS Clarifies Income Inclusion Rules in Section 50(d)(5) for Partnerships and S Corporations Bracewell LLP
Jul
27
2016
Technology License Agreements: Arm’s Length Royalty Rates Save Medtronic from $1.36 Billion IRS Tax Deficiency McDermott Will & Emery
Jul
26
2016
Investment Tax Credit Lessee Income Inclusion Guidance Issued McDermott Will & Emery
Jul
26
2016
IRS Guidance Issued: Investment Tax Credit Lessee Income Inclusion McDermott Will & Emery
Jul
26
2016
IRS Issues Proposed Rules on Income Inclusion under Section 50(d)(5) Foley & Lardner LLP
Jul
26
2016
IRS Steps into Fray on Political Activities Covington & Burling LLP
Jul
26
2016
Quick Guide to Section 338(h)(10) Elections Greenberg Traurig, LLP
Jul
25
2016
Denial of Claimed Exemptions for Offshore Annuities: “You Can’t Always Get What You Want” Squire Patton Boggs (US) LLP
Jul
25
2016
Proposed Internal Revenue Code Section 457 Regulations Have Arrived Bracewell LLP
Jul
22
2016
A Summary of the Final Regulations on Non-Issue Price Arbitrage Restrictions Squire Patton Boggs (US) LLP
Jul
22
2016
Pennsylvania Supreme Court Affirms “Title Wash” Tax Sale Steptoe & Johnson PLLC
Jul
21
2016
New Electronic Form 8976 to Alert IRS About Section 501(c)(4) Status; 1023-EZ Application Reduced to $275 Proskauer Rose LLP
Jul
21
2016
Protecting Confidential Taxpayer Information in Tax Court McDermott Will & Emery
Jul
20
2016
DC Circuit Ruling Threatens to Topple FERC Tax Allowance Policy Morgan, Lewis & Bockius LLP
Jul
20
2016
Tax Court Issues Five Discovery Orders Addressing Admissibility of Expert Reports McDermott Will & Emery
Jul
20
2016
UK Government Confirms Introduction of New Cap on Interest Deductibility McDermott Will & Emery
Jul
19
2016
Sales Tax Exemption for Manufacturing Held Inapplicable for Oil and Gas Equipment, but Questions Remain Bracewell LLP
Jul
18
2016
IRS Issues Safe Harbors under Which the IRS Will Not Assert That a Corporation Lacks the Requisite ‘Control’ for Purposes of Section 355(a) McDermott Will & Emery
Jul
18
2016
IRS Proposes Modifications to Proposed Income Inclusion Regulations under Section 409A Proskauer Rose LLP
Jul
18
2016
Tax Court Order Indicates That E-Discovery and Predictive Coding Are Here to Stay McDermott Will & Emery
Jul
16
2016
The U.S. Estate Tax Reaches the Century Mark ArentFox Schiff LLP
Jul
16
2016
Breaking News: IRS Releases Final Arbitrage Regulations (Unrelated to Issue Price) Squire Patton Boggs (US) LLP
Jul
15
2016
Physical Presence Requirement Bill Introduced in Congress McDermott Will & Emery
Jul
15
2016
Proposed Changes to Section 409A are Welcome (for the Most Part) Jackson Lewis P.C.
Jul
15
2016
Executive Compensation for Tax Exempt and Governmental Employers: Unraveling New Proposed Regulations on Non-Qualified Deferred Compensation Under Section 457 Holland & Hart LLP
Jul
15
2016
Expert “Hot Tubbing” in the Tax Court McDermott Will & Emery
Jul
15
2016
Proposed Section 409A Regulations Would Clarify Separation from Service Analysis in Connection with Change in Status From Employee to Independent Contractor Proskauer Rose LLP
Jul
15
2016
Hawaii Governor Signs Renewable Fuels Production Tax Credit Bergeson & Campbell, P.C.
Jul
15
2016
Deferred Compensation for Tax-exempt Organizations: New Proposed Regulations under Code Section 457 Proskauer Rose LLP
Jul
15
2016
Proposed Tax Regulations Would Block Some Spinoffs Cadwalader, Wickersham & Taft LLP
Jul
15
2016
Property Purchased or Leased for Use Outside of Louisiana and Offshore Addressed in New Louisiana Guidance Bracewell LLP
Jul
14
2016
Pennsylvania General Assembly Passes Revenue Package with Significant Digital Tax Expansion McDermott Will & Emery
Jul
14
2016
Welcome Tinkering in U.S. Internal Revenue Code Section 409A Proposed Regulations Squire Patton Boggs (US) LLP
Jul
14
2016
IRS Finalizes Controversial Regulations Allowing Contractor Participation in Examinations McDermott Will & Emery
Jul
14
2016
Blueprint for Maintaining Individually Designed Qualified Plan after IRS’s Determination Letter Program Cutback McDermott Will & Emery
Jul
14
2016
IRS Denies Exempt Status for Non-MSSP Accountable Care Organizations Foley & Lardner LLP
 

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