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McDermott Continues to Receive Top Rankings in Tax in Chambers USA 2018

Chambers USA released its 2018 edition of annual rankings of law firms and lawyers in various practice areas. We are honored that Chambers USA has recognized McDermott’s tax practice and several of its lawyers in the latest rankings. A summary of McDermott’s tax rankings is listed below along with a complete list available here to all McDermott rankings.

On the tax controversy side, our team was recognized as known for a “Dominant presence in high-value tax disputes across the USA, fielding particular expertise in transfer pricing litigation and SALT work.” Clients said we are “very responsive and very good advisors,” and added, “they are very cohesive and have vast experiences.” Clients agreed that they get good value from the Firm; “It’s outstanding client service and worth every penny. Billing has been very detailed and understandable.(more…)




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A 360-Degree View: April and May 2018

Wrapping Up April – and Looking Forward to May

Top April Posts You May Have Missed

President Trump Announces Intent to Nominate Emin Toro to Tax Court

IRS Releases Practice Unit on Statutes of Limitation

National Taxpayer Advocate Reminds Congress of IRS Deficiencies

Tax Controversy Activities This Week

May 1, 2018: Elizabeth Erickson is on “Exchange of Information – The New Landscape” at the TEI Audits and Appeals Seminar in New Orleans, LA.

May 3, 2018: Andrew Roberson is presenting “Preventing Disputes 2: Taxpayer Rights in the Administrative Phase” at the International Conference on Taxpayer Rights in Amsterdam, Netherlands.

Upcoming Tax Controversy Activities in May

Our lawyers will present on the following key tax topics during the month of May. We hope to see you.

May 7, 2018: Kristen Hazel and Michael Louis will present “Navigating Tax Reform: BEAT and FDII” at TEI-Houston Chapter 2018 Tax School in Houston, TX.

May 10, 2018: Robin Greenhouse and Kevin Spencer are going to speak about tax controversy and privilege at the International Fiscal Association’s New York/Connecticut Region meeting in Old Greenwich, CT.

May 11, 2018: Elizabeth Erickson will discuss “Section 162(q) – No Longer Silent” at the ABA Section of Taxation Meeting in Washington, DC.

May 11, 2018:  Stephen Kranz will present “Handling Tax Controversy to Win” and “The Digital Tax Tsunami:  What You Need to Know to Help Your Clients” at Avalara’s CRUSH DC 2018 in Washington, DC.

May 21-22, 2018: Thomas Jones is presenting “Impact of the Change in Corporate Tax Rates & Other Tax Developments” at the Texas Captive Insurance Association 5th Annual Conference in Houston, TX.




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Treasury Releases Report on Regulatory Reform Accomplishments

On April 24, 2018, the US Department of the Treasury (Treasury) released a report (Report) outlining the efforts undertaken to-date by Treasury to implement the president’s regulatory reform agenda.  The efforts have been in furtherance of President Trump’s Executive Order 13771 and Executive Order 13789 calling for a reduction in regulatory burdens and costs.

The Report highlights Treasury’s extensive efforts to support President Trump’s regulatory reform agenda.  In particular, the Report provides that Treasury has:

  • Reduced its regulatory agenda by approximately 100 regulations from its Fall 2017 agenda
  • Issued a notice to eliminate almost 300 “deadwood” tax regulations that are duplicative or obsolete
  • Withdrawn two regulations deemed “significant” in an October 2017 report (see prior discussion here)
  • Issued a series of reporting providing specific recommendations to make the US financial regulatory system more efficient

The Report also provides that, since the issuance of Executive Order 13771 (outlining the Trump administration’s “one-in-two-out” principle), Treasury has focused on burden-reducing measures and that no new “regulatory” actions have been undertaken.  Rather, actions from Treasury’s fall 2017 agenda have either been identified as “deregulatory” or have not yet been classified.

The Report also notes that Treasury has also undertaken a retrospective review of significant recent tax regulations pursuant to Executive Order 13789 and identified eight regulations for rescission or modification (largely consistent with the October 2017 report).

Treasury has indicated that these actions will “advance the President’s policy of regulatory efficiency in support of lower individual and corporate compliance burdens.”

Practice Point:  Taxpayers should continue to monitor Treasury’s action with respect to regulatory reform, especially in light of the regulatory process in connection with US tax reform.




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Tax Court Judge Holmes Reappointed

In a press release on April 24, 2018, the White House stated that President Trump has reappointed Tax Court Judge Mark Holmes for a second 15-year term.  Judge Holmes was originally appointed by President George W. Bush on June 30, 2003, for a term ending June 29, 2018.  Instead of seeking “senior status” on the Tax Court, Judge Holmes sought to be reappointed for a second term.




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National Taxpayer Advocate Reminds Congress of IRS Deficiencies

On April 17, 2018, the Taxpayer Advocate, Nina E. Olson, testified before a Congressional Oversight Committee regarding on-going challenges to the administration of an efficient and effective tax system. Ms. Olson runs the Taxpayer Advocate Service (TAS), an independent office within the Internal Revenue Service (IRS). The Taxpayer Advocate is appointed by and reports directly to the Commissioner of Internal Revenue. The office was created under the Taxpayer Bill of Rights, which became law on July 30, 1996. The office replaced the IRS Office of the Ombudsman. (more…)




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IRS Releases Practice Unit on Statutes of Limitation

The expiration of the time for the Internal Revenue Service (IRS) to assess tax can bring closure on prior tax and financial reporting positions for taxpayers. We have previously reported and written for the International Tax Journal about tax statutes of limitation both generally and in the international tax context. As a follow-up to those materials, we wanted to alert you that the IRS recently released a Practice Unit providing an overview of statutes of limitation on the assessment of tax. These materials are all good resources and starting points for taxpayers and practitioners with questions on statutes of limitation.




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President Trump Announces Intent to Nominate Emin Toro to Tax Court

In a press release this morning, President Trump announced his intent to nominate Emin Toro to serve as a judge on the United States Tax Court (Tax Court). This is the latest in a wave of nominations to high-level tax positions within the government, as we have previously covered here and here.

Mr. Toro is currently a partner in the Washington, DC, office of Covington & Burling LLP. His practice focuses on the needs of multinational companies, including both tax controversies and counseling. Mr. Toro’s experience includes audits, administrative appeals, litigation and transfer pricing matters. He received his JD from the University of North Carolina School of Law in 2000 and clerked for the Honorable Karen LeCraft Henderson, US Court of Appeals for the District of Columbia (2000–2001) and the Honorable Clarence Thomas, US Supreme Court (2002–2003).




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A 360-Degree View: March and April 2018

Wrapping Up March – and Looking Forward to April

Top March Posts You May Have Missed

White House Intends to Nominate Michael J. Desmond to High-Level Roles in the IRS and the Department of Treasury

The IRS May Be Coming for Your Bitcoins

Tax Court Judicial Conference This Week in Chicago

Upcoming Tax Controversy Activities in April

Our lawyers will present on key tax topics during the month of April. We hope to see you soon.

April 24, 2018: Todd Welty, Kristen Hazel, Elizabeth Erickson, John Lutz and Andrew Roberson will present “Taking Reasonable Positions and Retroactive Regulations” at McDermott’s Inaugural Tax Symposium in our Chicago office. The panel will address Gottesman, the ability of IRS to issue retroactive regulations, IRS authority issues, and impacts on return positions.

Led by our senior practitioners, our 2018 Symposium is a must-attend event for senior tax and employee benefits leaders seeking to optimize the opportunities and navigate the risks brought about by tax reform legislation.

April 30, 2018: Thomas Jones will present “Captive Insurance Tax Reform Update” at the Captive Insurance Council of the District of Columbia in Washington, DC. Captive Insurance has undergone a number of changes since the tax reform movement and our partner Tom Jones will cover the new regulations that your organization should be aware of.




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