Federal
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March 13, 2026
Bessent Still Leads IRS After Acting Role's End, Agency Says
Treasury Secretary Scott Bessent will continue to lead the Internal Revenue Service even though the time limit on his role as acting commissioner of the agency has expired, the IRS said Friday.
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March 13, 2026
USTR Investigates 60 Economies Over Forced Labor In Trade
The Office of the U.S. Trade Representative is investigating 60 economies that it suspects failed to prohibit the importing of goods produced with forced labor under a statute that could lead to new, long-lasting tariffs once the Trump administration's temporary global tariff regime expires in late July.
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March 13, 2026
IRS Seeks To Dismiss Meta's Claim On Interest, Penalty
The IRS did not erroneously assess interest and penalties against Meta Platforms during 2020, when the company said it was protected under a diaster-relief provision, the agency argued as it urged the U.S. Tax Court to throw out the social media giant's challenge of such an assessment.
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March 13, 2026
Greenberg Traurig Adds Taft Private Wealth Partner In Chicago
Greenberg Traurig LLP has hired a former Taft Stettinius & Hollister LLP partner, who joins the Chicago team to continue her practice focused on private wealth services, including advising individuals, families and businesses on estate planning and tax matters.
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March 13, 2026
Taxation With Representation: Paul Hastings, Duane Morris
In this week's Taxation With Representation, uniform maker Cintas Corp. acquires workwear company UniFirst Corp., Controlled Thermal Resources Holdings Inc. plans to go public by merging with a special purpose acquisition company, and a Shell USA Inc. subsidiary sells Jiffy Lube International Inc. to Monomoy Capital Partners.
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March 12, 2026
Tariff Refund System Taking Shape, US Customs Tells CIT
U.S. Customs and Border Protection is making progress developing a system for importers to claim refunds for the global tariff regime struck down by the U.S. Supreme Court, an official told the U.S. Court of International Trade on Thursday.
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March 12, 2026
Partnership Says Data Centers Should Not Trigger $24M In Tax
A partnership's acquisition of data centers and improvements to a damaged building should not have triggered $24 million in additional taxes, it told the U.S. Tax Court in challenging adjustments by the Internal Revenue Service.
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March 12, 2026
Tax Court Pressed To Reinstate $60M Easement Deduction
A Georgia partnership challenged the IRS for rejecting a nearly $60 million charitable tax deduction claimed on its conservation easement donation and for issuing penalties, telling the U.S. Tax Court on Thursday that the agency failed to thoroughly explain its reasons for the denial.
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March 12, 2026
Temp Agency Manager Hid $3.5M In Revenue, Feds Say
The former manager of a Massachusetts temporary employment agency failed to report more than $3.5 million in business revenue, leading to almost $1 million in taxes going unpaid, federal prosecutors said.
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March 12, 2026
IRS Allows 15% Of KFC Parent's Domestic Production Claim
The IRS and the parent of Pizza Hut, KFC and Taco Bell agreed that the company's total deductions for domestic production activities during 2013-2015 were $1.6 million — roughly 15% of the $10.7 million the company had claimed as deductions for the three years.
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March 12, 2026
TV Network Founder, IRS Seek Settlement In $18M Tax Case
The owner of a broadcasting company whose deal to sell $75 million in assets fell through is headed to settlement negotiations with the federal government over $18 million in taxes related to his father's estate, according to Michigan federal court filings.
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March 12, 2026
Alleged IRS Errors Don't Merit Injunction, Judge Advises
A Puerto Rico magistrate judge recommended denying a taxpayer's bid to block the IRS from assessing her tax liabilities while the agency's clerical errors that she alleges remain unresolved, holding that she faces uncertainties that don't rise to the level of irreparable harm.
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March 12, 2026
Sidley Hires Tax Partner In New York From Weil Gotshal
Sidley Austin LLP has hired a former Weil Gotshal & Manges LLP tax partner, who joined the firm in New York.
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March 11, 2026
Costco Owes Shoppers Refunds For Voided Tariffs, Suit Says
Costco shoppers are owed back the higher costs they paid as a result of President Donald Trump's global tariffs that the nation's highest court has since declared unlawful, according to a putative consumer class action filed Wednesday in Illinois federal court.
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March 11, 2026
Varian Case Backs $315M Siemens Deduction, Tax Court Told
The U.S. Tax Court should restore $315 million of Siemens' foreign-dividend tax deduction for the same reasons it upheld a similar deduction for Varian Medical Solutions in 2024, an attorney for Siemens told the court Wednesday.
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March 11, 2026
Tax Fraudster Asks 4th Circ. To Undo 20-Year Prison Term
The head of an investment firm who was sentenced to nearly 20 years in prison after admitting to tax fraud in connection with a $20 million Ponzi scheme asked the Fourth Circuit to vacate his sentence, saying it was unreasonable and far longer than average.
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March 11, 2026
Cos. Ask Court To Toss Trump's Revamped Global Tariffs
Two companies are challenging President Donald Trump's revamped global tariff regime, telling the U.S. Court of International Trade that the circumstances required to justify the regime cannot exist.
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March 11, 2026
US Settles Suit For $1.3M In Worker Credit Refunds
The federal government has settled a suit seeking a refund of $1.3 million in worker tax credits for two branches of a historic masonry company, according to a status report filed in Illinois federal court.
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March 11, 2026
Ethics Groups Urge Nix Of IRS Political Activity Tests As Lax
Competing tax-exempt status tests proposed by the Internal Revenue Service and a Texas-based advocacy group don't go far enough to stop tax-exempt social welfare organizations from improper political campaigning, ethics groups argued as they urged a D.C. federal court to reject both.
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March 11, 2026
IRS Floats Guidance On Tax-Exempt Refunding Bonds
The Internal Revenue Service floated guidance Wednesday on tax-exempt refunding bonds that would clarify how to request refunds for rebate overpayments.
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March 10, 2026
Ill. Tax Preparer Gets 10 Years For $14M PPP Loan Fraud
An Illinois federal judge's decision to impose a 10-year prison sentence on a man for his role in a $14 million fraud scheme where he took kickbacks for preparing false applications for pandemic-era Paycheck Protection Program loans drew surprised outbursts in the courtroom Tuesday from both the defendant and his attorney.
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March 10, 2026
Dems Warn Bessent's Term As Acting IRS Head Has Expired
Three senior Senate Democrats said Tuesday that statutory authority for the U.S. treasury secretary to serve as acting commissioner of the IRS expired March 6, and they want President Donald Trump to nominate a permanent replacement to be confirmed by the Senate.
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March 10, 2026
Hewlett Packard To Fight IRS Transfer Pricing Adjustments
Hewlett Packard Enterprise Co. disagrees with transfer pricing adjustments by the IRS and will challenge the agency's efforts to increase its taxable income, the company said in a quarterly report released Tuesday.
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March 10, 2026
Feds Urge End To IRS Wind, Solar Safe Harbor Fight
The Trump administration has told a D.C. federal judge there's no basis to sustain a lawsuit challenging an IRS notice eliminating a safe harbor test that wind and solar projects could use to qualify for clean energy tax credits.
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March 10, 2026
Taxpayers Still Craving Clarity On Tips, OT Amid Tax Season
Halfway through the tax season, filers are struggling to claim new deductions for tips and overtime in light of confusion about information reporting requirements, little finalized guidance from the IRS and a disconnect between campaign slogans and the real deductions' limitations.
Expert Analysis
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Trump Tax Law's Most Impactful Energy Changes
The One Big Beautiful Bill Act's deferral of begin-construction deadlines and the phaseout of certain energy tax credits will provide emerging technologies with welcome breathing room, though other changes, like the increased credit rate for sustainable aviation fuel, create challenges for developers, say attorneys at Weil.
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Adapting To Private Practice: From Texas AUSA To BigLaw
As I learned when I transitioned from an assistant U.S. attorney to a BigLaw partner, the move from government to private practice is not without its hurdles, but it offers immense potential for growth and the opportunity to use highly transferable skills developed in public service, says Jeffery Vaden at Bracewell.
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Advice For 1st-Gen Lawyers Entering The Legal Profession
Nikki Hurtado at The Ferraro Law Firm tells her story of being a first-generation lawyer and how others who begin their professional journeys without the benefit of playbooks handed down by relatives can turn this disadvantage into their greatest strength.
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UK's 1st ICSID Claim Shows Bilateral Investment Treaty Reach
For the first time, the U.K. is facing a claim under the International Centre for Settlement of Investment Disputes Convention, underscoring the broader reality that treaty protections are no longer confined to investors in emerging markets, says Philipp Kurek at Signature Litigation.
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Trump Tax Law's Most Impactful Corp. And Individual Changes
The One Big Beautiful Bill Act built on and reshaped elements of the Tax Cuts and Jobs Act, including business interest deductions, bonus depreciation and personal income relief, delivering substantial changes to both corporate and individual tax policy, say attorneys at Weil.
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From Clerkship To Law Firm: 5 Transition Tips For Associates
Excerpt from Practical Guidance
Transitioning from a judicial clerkship to an associate position at a law firm may seem daunting, but by using knowledge gained while clerking, being mindful of key differences and taking advantage of professional development opportunities, these attorneys can flourish in private practice, say attorneys at Lowenstein Sandler.
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Trump Tax Law's Most Consequential International Changes
The international tax provisions in the One Big Beautiful Bill Act may result in higher effective tax rates for some multinational corporations, but others, particularly those operating in low-tax jurisdictions, may benefit from alignment with global anti-profit shifting efforts, say attorneys at Weil.
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Associates Can Earn Credibility By Investing In Relationships
As the class of 2025 prepares to join law firms this fall, new associates must adapt to office dynamics and establish credible reputations — which require quiet, consistent relationship-building skills as much as legal acumen, says Kyle Forges at Bast Amron.
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Lessons From 7th Circ.'s Deleted Chat Sanctions Ruling
The Seventh Circuit’s recent decision in Pable v. Chicago Transit Authority, affirming the dismissal of an ex-employee’s retaliation claims, highlights the importance of properly handling the preservation of ephemeral messages and clarifies key sanctions issues, says Philip Favro at Favro Law.
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What 2 Profs Noticed As Transactional Law Students Used AI
After a semester using generative artificial intelligence tools with students in an entrepreneurship law clinic, we came away with numerous observations about the opportunities and challenges such tools present to new transactional lawyers, say professors at Cornell Law School.
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BigLaw Settlements Should Not Spur Ethics Deregulation
A recent Law360 op-ed argued that loosening law firm funding restrictions would make BigLaw firms less inclined to settle with the Trump administration, but deregulating legal financing ethics may well prove to be not merely ineffective, but counterproductive, says Laurel Kilgour at the American Economic Liberties Project.
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5 Ways Lawyers Can Earn Back The Public's Trust
Amid salacious headlines about lawyers behaving badly and recent polls showing the public’s increasingly unfavorable view of attorneys, we must make meaningful changes to our culture to rebuild trust in the legal system, says Carl Taylor at Carl Taylor Law.
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Legal Jeopardy Looms Over Trump's Trade Negotiation Plans
Even as the Trump administration announces one trade deal after another, the legal authority of the executive branch to impose tariffs under consensual arrangements with leading trading partners is just as debatable as the unilateral imposition of U.S. tariffs under the president's executive orders, says Jeffrey Bialos at Eversheds Sutherland.