Watson v. CIR

  1. August 26, 2024

    10th Circ. Won't Rethink Toss Of Insurers' $2M Tax Appeal

    Captive insurance companies that claim the U.S. Tax Court improperly rejected their request to invalidate tax deficiency notices in their case challenging $2 million in liabilities must wait until the court issues a final decision before they can appeal, the Tenth Circuit reaffirmed.

  2. July 03, 2024

    Insurers Ask 10th Circ. To Rethink Toss Of $2M Tax Appeal

    Captive insurance companies and their related entities that are challenging more than $2 million in IRS notices of tax deficiencies asked the Tenth Circuit to reconsider its refusal to review a U.S. Tax Court decision finding the notices were not invalid as the entities had claimed.

  3. May 29, 2024

    10th Circ. Tosses Insurance Co. Appeal In Tax Court Dispute

    The Tenth Circuit tossed an insurance company's challenge to a U.S. Tax Court ruling rejecting the company's effort to invalidate tax deficiency notices on Wednesday, saying it lacked authority to hear the case because the Tax Court's decision wasn't a final one that would end litigation.