In the late 1990s and early 2000s, the IRS was confronted with a proliferation of corporate transactions that it viewed as aggressive tax shelters. Relying on the authority Congress delegated through Section 6011(a), the IRS...more
6/13/2024
/ Administrative Procedure Act ,
Conservation Easements ,
Corporate Taxes ,
Easements ,
IRS ,
Proposed Regulation ,
Reporting Requirements ,
Tax Appeals ,
Tax Avoidance ,
Tax Court ,
Tax Penalties ,
Tax Shelters
In holding that that Treas. Reg. ยง 1.170A-14(g)(6)(ii) (Proceeds Regulation) is procedurally invalid under the Administrative Procedure Act (APA), the U.S. Tax Court abandoned its precedent in Oakbrook Land Holdings, LLC v....more
4/5/2024
/ Administrative Procedure Act ,
Chevron Deference ,
Conservation Easements ,
Easements ,
Fair Market Value ,
Gifts ,
IRS ,
Legal History ,
Partnerships ,
Property Valuation ,
Tax Court ,
U.S. Treasury ,
Vesting