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IRS Targets Private Foundations That May Be Used by Wealthy Taxpayers in Tax Planning

June 26, 2020

In remarks at the NYU Tax Controversy Forum on June 18, 2020, Internal Revenue Service (IRS) officials indicated that the agency is analyzing the use of private foundations for tax planning. Ms. Tamera Ripperda, who is the commissioner of the Tax Exempt and Government Entities (TEGE) Division and previously served as the industry director for…

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Six Takeaways: Utilization and Structuring for Section 45Q Carbon Capture Credits

June 12, 2020

Tax Court Holds That Form 870-AD Is Not a Binding Settlement Agreement

June 10, 2020

Tax Court Holds IRS Chief Counsel Attorneys May Make Initial Penalty Determination

June 8, 2020

IRC 45Q Credit Under IRS Scrutiny: Government Finds Majority of Carbon Oxide Credits Improperly Claimed

May 6, 2020

You Can Now Submit Your Letter Rulings and Determinations to the IRS Electronically

May 1, 2020

IRS Postpones Virtually All Deadlines Until July 15, 2020, in Response to COVID-19

April 10, 2020

Taxpayer Victory in an IRC Section 199 Contract Manufacturing Case

March 24, 2020

IRS Provides Some Relief from Tax Payment (But Not Filing) Deadlines Due to COVID-19

March 19, 2020

IRS Releases Initial Section 45Q Carbon Sequestration Credit Guidance

February 21, 2020
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Brian Moore

Connect: https://www.mwe.com/people/brian-moore/
Subscribe: Subscribe via RSS
Blogs
  • Energy Business Law
  • Tax Controversy 360
Firm/Org
  • McDermott Will & Emery
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