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
Jul
2
2014
New Alcohol and Tobacco Tax and Trade Bureau (TTB) FAQs on Sugar Claims McDermott Will & Emery
Jul
1
2014
Indian Country Awaits 9th Circuit’s En Banc Rehearing in Big Lagoon Case Dickinson Wright PLLC
Jun
30
2014
Advisory Committee on Tax Exempt and Government Entities Makes Recommendations on Reporting of Unrelated Business Taxable Income Proskauer Rose LLP
Jun
30
2014
Dutch Fiscal Unity Regime in Breach of EU Law Greenberg Traurig, LLP
Jun
30
2014
The Affordable Care Act—Countdown to Compliance for Employers, Week 25 (Early Edition): What Hobby Lobby Means for the Affordable Care Act—Absolutely Nothing Mintz
Jun
28
2014
U.S. Prosecutions of Foreign Financial Institutions Create Extreme Risk of Disclosure for Offshore Account Holders and Prospects of Multiple 50 Percent Foreign Bank and Financial Accounts (FBAR) Penalties Greenberg Traurig, LLP
Jun
27
2014
Affirmative Use of U.S. Partnerships in Inbound Tax Planning Bilzin Sumberg
Jun
26
2014
New Law to Ease Tax Burden on Small Businesses McBrayer, McGinnis, Leslie and Kirkland, PLLC
Jun
26
2014
New York State Division of Tax Appeals Rules Patent License Fees Not Subject to Sales Tax in New York McDermott Will & Emery
Jun
25
2014
State and Local Tax Supreme Court Update: June 2014 McDermott Will & Emery
Jun
25
2014
IRS Release Reflects Ongoing Scrutiny of Political Activity by Nonprofits Covington & Burling LLP
Jun
24
2014
Internal Revenue Service (IRS) Information Document Request Enforcement Procedures Update Morgan, Lewis & Bockius LLP
Jun
24
2014
Michigan Supreme Court: No Automatic Use Tax Exemption for Purchases from Michigan Sellers – Andrie v Treasury Varnum LLP
Jun
24
2014
Pennsylvania Department of Revenue Issues Draft Guidance on Market-Based Sourcing of Services McDermott Will & Emery
Jun
24
2014
New Repair Regulations Affect All Taxpayers McDermott Will & Emery
Jun
24
2014
Michigan Enacts Changes to Administrative Tax Provisions Affecting Audits and Assessments Dickinson Wright PLLC
Jun
24
2014
Unclaimed Property – It Is Not a Tax, but It Can Feel Like One McDermott Will & Emery
Jun
24
2014
IRS Issues Revenue Ruling on Applicability of Section 457A to Options and Stock Appreciation Rights Proskauer Rose LLP
Jun
24
2014
Waiver of Privilege: Disturbing Trends McDermott Will & Emery
Jun
24
2014
IRS Ruling Allows Tax-Deferred Stock Rights for Fund Managers McDermott Will & Emery
Jun
23
2014
Illinois Department of Revenue Intends to Extend Its Multifactor Post-Hartney Sourcing Regulations to Interstate Transactions McDermott Will & Emery
Jun
23
2014
New York Legislature Votes To Extend Brownfield Tax Credits For Additional 15 Months Greenberg Traurig, LLP
Jun
20
2014
IRS Continues Pursuit of Undisclosed and Unreported Financial Accounts - Important New Developments Varnum LLP
Jun
20
2014
Possible Offshore Deferrals for Hedge Fund Managers – IRS Confirms That Certain Stock Options and Stock Appreciation Rights Are Exempt Under Section 457A Proskauer Rose LLP
Jun
20
2014
Tracking Your Days in the U.S: A New Tool from U.S. Customs and Border Protection Altro LLP
Jun
20
2014
Internal Revenue Service (IRS) Makes Changes to Offshore Programs; Revisions Ease Burden and Help More Taxpayers Come into Compliance Altro LLP
Jun
18
2014
Corporate Inversions Showing No Signs of Slowing Down Bilzin Sumberg
Jun
18
2014
Bank Regulators Require Changes to Tax Allocation Agreements Dickinson Wright PLLC
Jun
16
2014
On the Section 409A Hunting Trail Womble Bond Dickinson (US) LLP
Jun
16
2014
Jumpstart Your Startup: Entity Selection and Formation von Briesen & Roper, s.c.
Jun
14
2014
Retroactive Tax Planning Re: U.S. Shareholders of Foreign Corporations Bilzin Sumberg
Jun
14
2014
Weekly North Carolina Legislative Update for June 9th Womble Bond Dickinson (US) LLP
Jun
13
2014
Recent Legislation in Virginia Retroactively Amending the Addback Statute Exacerbates a Potentially Unfair Tax Law McDermott Will & Emery
Jun
12
2014
John "Buck" Chapoton Discusses Tax Reform [AUDIO] Odin, Feldman & Pittleman, P.C.
Jun
12
2014
IRS Releases Guidance on Effective Date for Treatment of Same-Sex Spouses in Qualified Retirement Plans ArentFox Schiff LLP
Jun
11
2014
California Documentary Transfer Tax: Separate Unrecorded Statement of Tax No Longer Allowed After December 31, 2014 Sheppard, Mullin, Richter & Hampton LLP
Jun
11
2014
European Commission Uses EU State Aid Rules Against Aggressive Tax Planning by Multinational Companies McDermott Will & Emery
Jun
11
2014
French 3 Percent Tax on Distributions: French Subsidiaries of Foreign Companies Should Consider Claiming a Refund McDermott Will & Emery
Jun
10
2014
Does the Massachusetts Department of Revenue Still Believe SaaS is Subject to Sales Tax? McDermott Will & Emery
Jun
10
2014
G7 Leaders Tackle Growth, Stability and Tax Bases; Warn Absent Russia Covington & Burling LLP
Jun
10
2014
Detroit Casinos’ April Revenues Decrease from Same Month Last Year Dickinson Wright PLLC
Jun
10
2014
Non-U.S. Retirement Plans Must Comply with or Claim Exemption from FATCA by July 1 - Foreign Account Tax Compliance Act McDermott Will & Emery
Jun
9
2014
Unclaimed Property Audit Lawsuit Filed Against Kelmar: You Do the Math McDermott Will & Emery
Jun
6
2014
The Tax Risks of Misclassifying Employees McBrayer, McGinnis, Leslie and Kirkland, PLLC
Jun
5
2014
Statutory Exemption from U.S. Withholding Tax on Dividends Remains Bilzin Sumberg
Jun
5
2014
Final IRS Regulations Allow Retirement Plan Payments for Accident, Health and Disability Insurance McDermott Will & Emery
Jun
4
2014
United Steelworkers File Petition to Impose Substantial Duties on Imports from China of Tires for Passenger Vehicles and Light Trucks Faegre Drinker
Jun
4
2014
Internal Revenue Service (IRS) Issues Another Significant Ruling on Spin-off of Real Estate McDermott Will & Emery
Jun
4
2014
Tax Tip: Free Federal Filing Program Dickinson Wright PLLC
Jun
3
2014
New IRS Program for Delinquent Form 5500 Filers of Non-ERISA Plans McDermott Will & Emery
 

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