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
Feb
6
2019
IRS LB&I Division Announces Its New Year’s Resolutions McDermott Will & Emery
Feb
6
2019
OECD Note is Prelude to March Public Consultation on Global Tax Solutions Womble Bond Dickinson (US) LLP
Feb
6
2019
European Commission Unveils Plan to Eliminate Unanimous Consent Requirement for Tax Legislation K&L Gates
Feb
6
2019
Putting a New Spin on Things: Treasury Guidance Signals a Change for Tax-Free Spin-Offs Bracewell LLP
Feb
6
2019
IRS Issues Final Regulations on Partnership Audit Rules Bracewell LLP
Feb
6
2019
Energy & Sustainability Washington Updates – February 2019 Mintz
Feb
5
2019
IRS Notice Offers Good News for State Colleges and Universities (at Least for Now) Ogletree, Deakins, Nash, Smoak & Stewart, P.C.
Feb
5
2019
Desmond Renominated as Chief Counsel McDermott Will & Emery
Feb
4
2019
Opportunity Zones Observers Await Review of IRS Proposed Guidance Steptoe & Johnson PLLC
Feb
4
2019
Interim IRS Guidance Addressing Taxation Impact of Transportation and Parking Fringe Benefits Creates Planning Opportunities for Employers Jackson Lewis P.C.
Feb
4
2019
Weekly IRS Roundup January 28 – February 1, 2019 McDermott Will & Emery
Feb
4
2019
Franchise Tax Board Is Now Able To Dissolve/Cancel Zombie Corporations And LLCs Allen Matkins Leck Gamble Mallory & Natsis LLP
Jan
31
2019
Impact of Government Shutdown on IRS Collections Varnum LLP
Jan
31
2019
IRS Releases Practice Units on Permanent Establishments McDermott Will & Emery
Jan
31
2019
Extension of IR35 to Private Sector, Part 1 – No Risk of Premature Elucidation (UK) Squire Patton Boggs (US) LLP
Jan
30
2019
Making the Loss of the SALT Deduction Sting a Little Less Jackson Lewis P.C.
Jan
30
2019
Qualified Opportunity Zones vs. 1031 Carlton Fields
Jan
30
2019
Seizing the Opportunity with Qualified Opportunity Zones Carlton Fields
Jan
30
2019
Weekly IRS Roundup January 21 – 25, 2019 McDermott Will & Emery
Jan
29
2019
Ewing Township NJ Revaluation – Commercial, Retail, and Industrial Owners Beware Stark & Stark
Jan
28
2019
Navigating the Post-Wayfair World Part One: States Respond to the Supreme Court's Wayfair Decision von Briesen & Roper, s.c.
Jan
25
2019
Proposed Anti-Hybrid Regulations under Sections 267A, 245A, and 1503(d) Proskauer Rose LLP
Jan
25
2019
Audit Committees and Audit Quality: Guidance from IOSCO Squire Patton Boggs (US) LLP
Jan
24
2019
Indian Nations Overview - January 2019 Godfrey & Kahn S.C.
Jan
24
2019
IRS Notice 2019-9 Provides Interim Guidance for Tax-Exempt Organizations Paying Excess Executive Compensation Jackson Lewis P.C.
Jan
24
2019
Qualified REIT Dividends Paid by RICs are Eligible for the Code Section 199A Deduction Faegre Drinker
Jan
24
2019
Court Allows Whistleblower Case To Proceed Even Without Access To Tax Returns Allen Matkins Leck Gamble Mallory & Natsis LLP
Jan
23
2019
2018 ACA Reporting: Filing Extensions, Forms Changes & Good Faith Compliance von Briesen & Roper, s.c.
Jan
22
2019
Weekly IRS Roundup January 14 – 18, 2019 McDermott Will & Emery
Jan
22
2019
Qualified Opportunity Zone Fund Investments [VIDEO] Varnum LLP
Jan
22
2019
Interim IRS Guidance on New Executive Compensation Requirements for Tax-Exempt Entities Creates New Challenges Katten
Jan
18
2019
Opportunity Zones Create Funding Alternative for Social Infrastructure Projects Bilzin Sumberg
Jan
17
2019
International Tax Policy Top 10 Timeline: The Events in Europe in the First Half of 2019 That Will Impact the Taxation of Us Digital Business Models Womble Bond Dickinson (US) LLP
Jan
17
2019
The Opportunity Zone Program Presents Opportunity for Renewable Energy Development Mintz
Jan
16
2019
Tax-Exempt Bond Community Considers New Bond Regulations Ballard Spahr LLP
 

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