Parisa M. Griess

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Parisa M. Griess focuses her practice on representing taxpayers in complex tax disputes against US and foreign tax authorities. Her diverse experience includes audit defense, administrative appeals, tax litigation, competent authority matters, and criminal tax investigations primarily for technology, media, and manufacturing companies, as well as high-net-worth individuals. She also frequently advises clients on audit risk and audit readiness. Parisa’s technical expertise includes transfer pricing, Subpart F, section 956, permanent establishments and other treaty matters, business deductions, executive compensation and employee benefits, withholding taxes, information reporting, summons enforcement, and penalties. Read Parisa Griess's full bio.

Supreme Court Overrules Chevron, Opening Door for New Tax Reg Challenges


By , , and on Jul 10, 2024
Posted In Court Procedure Matters

On June 28, 2024, the Supreme Court of the United States reshaped the federal tax landscape when it overturned the long-standing Chevron doctrine in Loper Bright Enterprises v. Raimondo, No. 22-451. The Chevron doctrine, a pillar of US administrative law for four decades, required courts to defer to an agency’s reasonable interpretation of an ambiguous statute even where the court...

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