A half-dozen tech moguls have made noisy departures from California to escape a proposed billionaire tax, but itโ€™s unclear whether that would save them from the 5% levy on accumulated wealth โ€” ...
A federal judge in Dallas said ExxonMobil Corp. can claim 100% of a major tax deduction stemming from its natural gas partnership with the State of Qatar.
The Ninth Circuit on Tuesday affirmed the sentence and dismissed an appeal of a former FBI informant who admitted to providing false information regarding bribes he said were accepted by then-Vice ...
A Tennessee conservation easement donor had ample opportunities to contest a disputed land valuation before going to court, a federal judge ruled Tuesday, even though the IRS paused the case after ...
Massachusetts Governor Maura Healey proposed a two-month suspension of the stateโ€™s gas tax to help offset rising costs for drivers, endorsing a policy thatโ€™s also been pushed by the Republican ...
Courts must first determine the economic substance doctrineโ€™s relevance to a transaction before the IRS can raise a challenge under it, a nonprofit taxpayer advocacy organization told the Fifth ...
The U.S. Tax Court held that a tax preparerโ€™s underpayments for tax years 2009 through 2011 were attributable to fraud, sustaining the IRSโ€™s deficiency determinations and civil fraud penalties. The ...
Longtime tax-writing Rep. John Larson (D-Conn.) is on his way out. Whoever takes over the House Ways and Means Committeeโ€™s Social Security subcommittee next Congress will have their work cut out for ...
The IRS issued an announcement revoking its determinations that 12 organizations qualify as tax-exempt organizations under I.R.C. §501(c)(3) and as eligible recipients of deductible charitable ...
A partnershipโ€™s US Tax Court petition filed after the 90-day window may be heard because extraordinary circumstances outside of the entityโ€™s control prevented it from filing on time, the Tax Court ...
The IRS issued a notice extending for two additional years, through 2028, the phase-in period for enforcement and administration of the regulations under I.R.C. §871(m) governing dividend equivalent ...
The notice pertains to code section Section 871 (m), on prevention of non-US taxpayers avoiding withholding tax on dividends. The Treasury Department and IRS have previously extended the transition ...