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Federal
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June 26, 2026
Tax Court Tosses Meta's Interest Claim In $16B Dispute
The U.S. Tax Court said it has no jurisdiction to hear Meta's challenge to the IRS assessing interest on the company until it has decided whether a deficiency or overpayment exists in the company's underlying case over a $15.9 billion tax bill, according to an order.
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June 26, 2026
IRS Mulling Digital Asset Disclosure Program, Official Says
The Internal Revenue Service is weighing whether to create a stand-alone voluntary disclosure practice for digital assets, the head of the agency's criminal investigation unit said Friday.
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June 26, 2026
Taxation With Representation: Sidley, Paul Weiss, Kirkland
In this week's Taxation With Representation, Germany's Merck KGaA acquires life sciences tools supplier Bio-Techne Corp., drugmaker AbbVie buys clinical-stage biotechnology company Apogee Therapeutics, and building materials supplier CRH acquires infrastructure products maker Arcosa Inc.
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June 26, 2026
DOJ Fraud Division To Prioritize Tax Crimes, Official Says
The new fraud enforcement division at the U.S. Department of Justice is moving to pursue tax fraud crimes aggressively, an official said Friday, saying the division is characterizing the effort as an "emergency" to maximize efforts.
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June 26, 2026
DOJ Tax Litigation Official Expects Appellate Cases To Rise
More tax cases are likely to be appealed as textualist interpretations of statutes gain in suits and litigants increasingly invoke recent U.S. Supreme Court precedent, a U.S. Department of Justice official said Friday.
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June 25, 2026
Black & Decker Owes Tariff Plan Refunds, DeWalt Buyer Says
A DeWalt tools purchaser on Thursday filed a proposed class action against its parent company, Stanley Black & Decker, claiming that the company hiked prices as a result of tariffs that were later deemed illegal and now owes consumers refunds as a result.
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June 25, 2026
11th Circ. Judges Question Coke's View Of IRS As Arbitrary
Judges for the Eleventh Circuit probed attorneys for Coca-Cola and the government Thursday about whether the IRS was arbitrary in abandoning its position in a closing agreement the beverage company had relied on for decades to calculate its transfer prices with related foreign suppliers.
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June 25, 2026
SCOTUSblog Founder Goldstein Blasts 'Inflated' DOJ Tax Math
Convicted SCOTUSblog founder Tom Goldstein and federal prosecutors are clashing again over their dramatically divergent sentencing recommendations, with the defense accusing the government of presenting a "one-dimensional caricature" of the famed lawyer in seeking an eight-year sentence, and prosecutors accusing him of potentially deleting "secret chats" with his gambling backers.
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June 25, 2026
NC Tax Preparer Will Pay $13.9M For COVID Refund Scheme
A North Carolina woman who owned a tax return preparation business will be ordered to pay just under $13.9 million after she pled guilty to conspiring to prepare false tax returns, according to a press release from the U.S. Attorney's Office for the Eastern District of North Carolina.
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June 25, 2026
Clinic Manager Asks 4th Circ. To Upend 6-Year Fraud Sentence
A clinic manager who paid patients in gift cards is challenging her six-year prison sentence, telling the Fourth Circuit on Thursday that a federal judge failed to consider other mitigating factors when sentencing her for healthcare fraud and failing to file a tax return.
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June 25, 2026
Spanish Broadcasting Gets Green Light For Ch. 11 Plan
A Delaware bankruptcy judge said Thursday he will confirm Spanish-language radio station operator Spanish Broadcasting System's Chapter 11 plan once he gets the final draft of its plan documents, largely overruling an outstanding objection.
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June 25, 2026
IRS Had No Exit Strategy For Cloud-Run Systems, TIGTA Says
Most of the IRS' cloud-managed contracts did not include all elements of an exit strategy that would allow the agency to transition seamlessly to an alternative cloud if necessary, the Treasury Inspector General for Tax Administration said in a report Thursday.
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June 25, 2026
IRS 'Embracing' AI For Fraud Checks, Agency Official Says
The IRS is "embracing" artificial intelligence to help with taxpayer compliance, such as using the technology to detect patterns and identify fraud, while at the same time working with guardrails to protect private information, an agency official said Thursday.
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June 25, 2026
EU Implements US Trade Deal, With Safeguards
The European Union granted final approval Thursday to its modified version of a trade deal with the U.S. that will cut tariff rates on U.S. goods, albeit with guardrails.
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June 25, 2026
Tax Court To Try Out Holding Sessions At Law Schools
The U.S. Tax Court will launch a law school outreach initiative this year in which the court will hold a session at a school to strengthen engagement with taxpayers and help cultivate future tax professionals, the court's chief judge announced Thursday.
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June 25, 2026
IRS Correctly Withheld Info In FOIA Requests, TIGTA Says
The Internal Revenue Service correctly withheld information in 97% of Freedom of Information Act requests sampled by the Treasury Inspector General for Tax Administration, according to a report released Thursday.
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June 25, 2026
Easement Offers Have 'Rolling' Deadline, IRS Official Says
The 90-day window that conservation easement partnerships will have to accept an IRS deal to settle their charitable tax deduction dispute is based on the date when the taxpayer receives its settlement letter with the latest offer, the agency's acting chief counsel said Thursday.
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June 24, 2026
JCT Explains Sports Industry Tax Issues Before Hearing
The Joint Committee on Taxation provided an analysis of present law related to sports industry tax issues Wednesday, including the tax treatment of college sports, ahead of a House Ways and Means Committee hearing on the topic.
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June 24, 2026
Pool Co. Must Back Its $660K Worker Credit Claim, Court Says
A California swimming pool company must show that its operations were shut down because of government orders during the COVID-19 pandemic to receive more than $660,000 in worker retention tax credits disallowed by the IRS, the U.S. Court of Federal Claims ruled.
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June 24, 2026
Booker, Cassidy Press DOJ On Trump Immunity Deal
Sens. Bill Cassidy, R-La., and Cory Booker, D-N.J., wrote to acting Attorney General Todd Blanche on Wednesday expressing "serious concerns" about the alleged immunity for President Donald Trump, his family and businesses in the controversial settlement he reached with the IRS.
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June 24, 2026
Spanish Broadcasting Touts Ch. 11 Debt-Swap Plan
Spanish-language radio station operator Spanish Broadcasting System is slated for a Chapter 11 plan confirmation hearing on June 25, where it will seek a Delaware bankruptcy judge's all-clear to pursue a debt-swap plan.
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June 24, 2026
Taxpayer Advocate Flags Strains On Service In Filing Season
The Internal Revenue Service performed better than expected this tax season, but taxpayers still experienced refund delays and service deficiencies, the national taxpayer advocate said Wednesday in her midyear report to Congress.
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June 24, 2026
Tax Court Affirms $158K Liability For Unpaid Taxes
The Internal Revenue Service didn't abuse its discretion when it found a Missouri man had sufficient assets to pay off his nearly $158,000 tax bill that he accrued across four tax years, the U.S. Tax Court said Wednesday.
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June 24, 2026
Footwear Brand Owner Asks To Abate $378K Tax Penalty
The Canadian owner of a footwear brand asked a Nevada federal court to abate a $378,000 penalty for failing to pay employment taxes, arguing that he was prevented from paying by a since-delicensed lender withholding the company's revenue.
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June 24, 2026
DC Judge Will Take Gov't 'At Its Word' Trump's Fund Is Dead
A Washington, D.C., federal judge declined to issue a preliminary injunction blocking the Trump administration's proposed $1.8 billion "lawfare" fund, saying he "must take the government at its word" that the fund is truly dead.
Expert Analysis
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5 Real Estate Takeaways From Trump's Sweeping Tax Law
Changes to the Internal Revenue Code included in the One Big Beautiful Bill Act will have a range of effects on real estate sponsors, investors and real estate investment trusts — from more compliance flexibility around taxable REIT subsidiary limits to new considerations raised by a key retaliatory tax provision that was left out, say attorneys at DLA Piper.
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Evaluating The Current State Of Trump's Tariff Deals
As the Trump administration's ambitious tariff effort rolls into its ninth month, and many deals lack the details necessary to provide trade market certainty, attorneys at Adams & Reese examine where things stand.
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How Hyperlinks Are Changing E-Discovery Responsibilities
A recent e-discovery dispute over hyperlinked data in Hubbard v. Crow shows how courts have increasingly broadened the definition of control to account for cloud-based evidence, and why organizations must rethink preservation practices to avoid spoliation risks, says Bree Murphy at Exterro.
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Preserving Refunds As Tariffs Await Supreme Court Weigh-In
In the event that the U.S. Supreme Court decides in V.O.S. Selections v. Trump that the president doesn't have authority to levy tariffs under the International Emergency Economic Powers Act, importers should keep records of imports on which they have paid such tariffs and carefully monitor the liquidation dates, say attorneys at Butzel.
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Revamped Opportunity Zones Can Aid Clean Energy Projects
The Qualified Opportunity Zone program, introduced in 2017 and reshaped in the One Big Beautiful Bill Act, offers investors federal tax incentives for development in low-income communities — incentives that are especially meaningful for clean energy projects, where capital-intensive infrastructure and long-term planning are essential, say attorneys at Dentons.
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Writing Musicals Makes Me A Better Lawyer
My experiences with writing musicals and practicing law have shown that the building blocks for both endeavors are one and the same, because drama is necessary for the law to exist, says Addison O’Donnell at LOIS Law.
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How Fashion, Tech Can Maximize New Small Biz Tax Breaks
Fashion and technology companies, which invest heavily in innovation, should consider taking advantage of provisions in the One Big Beautiful Bill Act that favor small businesses, restructuing if necessary to become eligible for expanded research and experimental expenditure credits and qualified small business stock incentives, says Aime Salazar at Olshan Frome.
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Adapting To Private Practice: From Va. AUSA To Mid-Law
Returning to the firm where I began my career after seven years as an assistant U.S. attorney in Virginia has been complex, nuanced and rewarding, and I’ve learned that the pursuit of justice remains the constant, even as the mindset and client change, says Kristin Johnson at Woods Rogers.
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7 Document Review Concepts New Attorneys Need To Know
For new associates joining firms this fall, stepping into the world of e-discovery can feel like learning a new language, but understanding a handful of fundamentals — from coding layouts to metadata — can help attorneys become fluent in document review, says Ann Motl at Bowman and Brooke.
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Agentic AI Puts A New Twist On Attorney Ethics Obligations
As lawyers increasingly use autonomous artificial intelligence agents, disciplinary authorities must decide whether attorney responsibility for an AI-caused legal ethics violation is personal or supervisory, and firms must enact strong policies regarding agentic AI use and supervision, says Grace Wynn at HWG.
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Opportunity Zone's Future Corp. Tax Benefits Still Uncertain
Despite recent legislative enhancements to the qualified opportunity fund program, and a new G7 understanding that would exempt U.S.-parented multinationals from the undertaxed profits rule, uncertainties over future tax benefits could dampen investment interest in the program, says Alan Lederman at Gunster.
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How GILTI Reform Affects M&A Golden Parachute Planning
Deal teams should evaluate the effect of a recent seemingly technical change to U.S. international tax law on the golden parachute analysis that often plays a critical part of many corporate transactions to avoid underestimating its impact on an acquirer's worldwide taxable income following a triggering transaction, say attorneys at MoFo.
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What To Expect As Trump's 401(k) Order Materializes
Following the Trump administration’s recent executive order on 401(k) plan investments in alternative assets like cryptocurrencies and real estate, the U.S. Department of Labor and the U.S. Securities and Exchange Commission will need to answer several outstanding questions before any regulatory changes are implemented, say attorneys at Cleary.