State/Federal Tax, Internal Revenue Service & Treasury Legal Updates

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Tax law is one of the most complex areas of the law.  The recent legislation, the Tax Cuts and Jobs Acts (TCJA), the first major change to tax law since 1986, had many implications for business owners, as well as private individuals for tax filing purposes. Almost every decision a business makes may have tax consequences, and the National Law Review has legal analysis of the new TCJA legislation as well as updates on the IRS interpretations and guidance documents.

State Tax Laws (SALT)

Additionally, the National Law Review has coverage of many state tax laws, as well as states' responses to the TCJA.   These SALT issues are carefully analyzed by the legal experts who write for the National Law Review.  Along with state income tax rules, there is also information on how states are handling aspects of the gig economy, as well as state responses to changes with the individual mandate under the Affordable Care Act.

GILTI Tax, Estate, Base Erosion Anti-Abuse Tax

From new tax implications under GILTI tax (Global Intangible Low Taxed Income) to deductions under the IRC for gifts and estate transfers, visitors can find the latest stories in relation to both business and personal tax laws. Visitors can read about the implications the TCJA has on multinational companies, how the BEAT tax (Base Erosion Anti-Abuse Tax) is calculated, or the effects estate taxes will have when deciding who to leave property to in a will.

Tax Deductions & Credits

With the evolving tax situations, there are many questions related to which tax credits and deductions are still on the table.  The National Law Review offers analysis of changing tax regulations, interpreting legislation to answer questions related to tax credits like the Family and Medical Leave Tax Credit as well as Historic Tax Credit, and renewable energy tax credits.

The National Law Review also covers stories and news about nonprofit and for-profit organizations, and how the current tax legislation affects these companies. Among the topics covered on the site are transfer taxes, estate taxes, tangible and property tax law, bankruptcy, restructuring, and tax implications on real estate. From news about tax implications on multinational organizations involved in international deals and relations to tax implications under ACA (Affordable Care Act) and HSA (health savings accounts), visitors will always find the latest tax law covered on the National Law Review site.

Updates on Federal Agencies Related to Tax

The National Law Review provides news and coverage on federal taxing agencies including the Internal Revenue Service (IRS), Department of Treasury, and state and local government agencies, which dictate tax laws. For coverage on state, national, federal, and international taxes, and how TCJA affects these taxes, the National Law Review provides the latest, in-depth news coverage for its visitors.

National Law Review Tax Law TwitterFor hourly updates on the latest IRS and tax law news, be sure to follow our Tax Law X (formerly Twitter) feed, and sign up for complimentary e-news bulletins.

Recent State/Federal Tax, Internal Revenue Service & Treasury Legal News

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Feb
10
2022
R&D Tax Credit: What Healthcare Professionals Should Know [PODCAST] Roetzel & Andress LPA
Feb
10
2022
Privacy Tip #318 – IRS Abandons Use of Facial Recognition for New Accounts Robinson & Cole LLP
Feb
10
2022
CDTFA Proposes Significant Revisions to Chapters 4 and 13 of The Sales Tax Audit Manual McDermott Will & Emery
Feb
9
2022
Addressing Excessive Fee Litigation Risk in the Wake of Hughes v. Northwestern Epstein Becker & Green, P.C.
Feb
9
2022
Maryland Comptroller’s Regulatory Evaluation Report Foreshadows Significant Changes to Regulations Relating to Apportionment for Banks Greenberg Traurig, LLP
Feb
8
2022
Katten Corporate and Real Estate Tax Case Roundup – February 2022 Katten
Feb
8
2022
Second Circuit Clarifies That Reclassification of Health Status That Limits Scope of Disability Benefits Does Not Constitute “Adverse Benefit Determination” Under ERISA Claims Procedures Regulation Robinson & Cole LLP
Feb
8
2022
Weekly IRS Roundup January 30 – February 5, 2022 McDermott Will & Emery
Feb
4
2022
Recent Tax Developments Concerning Staking Rewards McDermott Will & Emery
Feb
4
2022
ESG and Tax: Don't Be Left Behind Katten
Feb
4
2022
Update – UAE Introduces Corporate Tax K&L Gates
Feb
3
2022
Filing Tax Returns and Making Tax Payments: Best Practices During the Pandemic and Beyond Varnum LLP
Feb
3
2022
District Court Enforces 403(b) Plan Arbitration Clause with Class Action Waiver But Allows for Plan-wide Non-monetary Relief Proskauer Rose LLP
Feb
2
2022
Getting Rid of the Misnomer: The Risks Behind the Term "1099 Employee" Ward and Smith, P.A.
Feb
1
2022
Mississippi Senate Counters House Proposal on Income Tax Reform Jones Walker LLP
Feb
1
2022
Washington Delays Implementation of Long-Term Care Legislation Ogletree, Deakins, Nash, Smoak & Stewart, P.C.
Jan
31
2022
New York Governor Releases Updated 421-a Program Sheppard, Mullin, Richter & Hampton LLP
Jan
29
2022
Even When it Comes to the Mundane Forms 8038, the One Constant is Change Squire Patton Boggs (US) LLP
Jan
28
2022
Revoking Your Power of Attorney Status McDermott Will & Emery
Jan
28
2022
Gold Dome Report – Legislative Day 8 Nelson Mullins
Jan
27
2022
California Property Tax Exemptions for Nonprofits – Annual Filings Due Feb. 15, 2022 Greenberg Traurig, LLP
Jan
27
2022
IRS Chief Counsel Signals Increased Tax Enforcement McDermott Will & Emery
Jan
26
2022
Governor Baker Releases Eighth Budget Recommendation Mintz
Jan
26
2022
Bill Proposes Elimination Of Duty Exemption For Low-Value Imports From China And Other Countries Barnes & Thornburg LLP
Jan
26
2022
Don't Let the 'No Surprises Act' Catch You by Surprise Roetzel & Andress LPA
Jan
26
2022
The Sixth Circuit Holds Argument on the Tax Mandate Squire Patton Boggs (US) LLP
Jan
26
2022
Proposed Regulations Regarding the Aggregate Treatment for Pass-Through Owners of PFIC Stock Proskauer Rose LLP
Jan
24
2022
New Cost-Benefit Analysis for Filing a Research Credit Refund Claim Miller Canfield
 

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