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Read need-to-know updates, commentary, and analysis on Tax issues written by leading professionals.
Farrell Fritz, P.C.

IRS Releases 2026 “Dirty Dozen” List of Tax Scams

Farrell Fritz, P.C. on

Last week, the Internal Revenue Service (“IRS”) announced its annual Dirty Dozen list of tax scams. The Dirty Dozen lists twelve of the most prevalent scams that, in the IRS’s estimation, represent the most significant...more

Mayer Brown

Brasília em Pauta - Edição Nº 230

Mayer Brown on

Prezados e prezadas, O “Brasília em Pauta” é um boletim semanal preparado pela equipe de Contencioso de Brasília, contendo os principais casos a serem julgados pelo Supremo Tribunal Federal (STF), Superior Tribunal de...more

Eversheds Sutherland (US) LLP

Georgia’s 2026 Legislative Session: Major Tax Legislation Moving Forward

This year’s Georgia’s legislative session is quickly progressing and the General Assembly has proposed significant legislation addressing income and property tax reform. Last Friday, March 6, 2026, was “Crossover Day” – the...more

Haynes Boone

USPS Postmarking Changes Impact Benefit Plan Notices and Filings

Haynes Boone on

The United States Postal Service (“USPS”) recently issued a final rule that became effective December 24, 2025 to clarify the definition and application of postmarks. The rule provides that a postmark applied at a USPS...more

Bradley Arant Boult Cummings LLP

The Regulatory Pendulum of Independent Contractors: Does the New DOL Test Grant More Independents?

As the Department of Labor’s (DOL) composition ebbs and flows from administration to administration, so does the guidance employers receive on one of the most challenging questions in workforce management: Should workers be...more

McCarter & English, LLP

New Jersey Governor Mikie Sherrill’s First Budget Address for FY2027: Key Highlights

Governor Mikie Sherrill presented her first budget address, outlining a proposed $60.7 billion Fiscal Year 2027 budget for New Jersey. The proposal emphasizes key priorities including affordability, education, youth mental...more

Offit Kurman

When Will the IRS Compromise Tax Liability?

Offit Kurman on

We have all seen the television commercials hawking tax relief with “satisfied clients” shilling for the promoter. But will the IRS really compromise a tax liability? If so, when, how, and why?...more

Goodwin

Registration and Responsibility: Regulating the Conduct of Tax Advisors in the UK

Goodwin on

It is a topic that has slipped under the radar in the flurry of activity and news bulletins about the new UK carry tax regime, but the Finance (No. 2) Bill 2026 also contains new registration requirements and conduct rules...more

Bond Schoeneck & King PLLC

Mandatory 100% Disabled Veterans Tax Exemption

New York has enacted an amendment, signed on Feb. 13, 2026 (Chapter 77 of the Laws of 2026), that makes the complete real property tax exemption for veterans with a 100% service‑connected disability mandatory for school...more

Ary Rosenbaum - The Rosenbaum Law Firm P.C.

Niche Markets: Doctors, Law Firms, Unions, and Family Businesses

Every plan provider says the same thing: “We work with everyone.” That sounds inclusive, but it’s terrible marketing and even worse strategy. The most successful TPAs and advisors I know don’t chase everyone—they own niches....more

Holtzman Vogel Baran Torchinsky & Josefiak

Charitable Organizations in an Election Year: Frequently Asked Questions

With the 2026 election campaign season underway, nonprofit organizations exempt under section 501(c)(3) (“charities”) must be careful to ensure that their exempt status is not placed at risk because of an association with a...more

Harris Beach Murtha

IRS Files First Response to Common Industry 280E Arguments

Harris Beach Murtha on

The Internal Revenue Service (IRS) recently filed its first written response to arguments used widely by cannabis taxpayers as justification for not paying Section 280E taxes. The closely-watched U.S. Tax Court case, New...more

Ius Laboris

Employer Obligations in Gulf Crisis

Ius Laboris on

The escalation of hostilities between Iran and the US-Israeli coalition, and its direct impact on the Gulf region’s airspace and infrastructure since late February 2026, has placed workforce management at the top of the...more

Mandelbaum Barrett PC

Elder Law Alert: New Jersey Amends and Readopts Inheritance Tax Regulations

Mandelbaum Barrett PC on

New Jersey has readopted and amended its inheritance tax regulations, with important changes that affect estate planning, estate administration, and families formed through assisted reproductive technology. Effective...more

DLA Piper

Virginia General Assembly Proposes To Eliminate Sales And Use Tax Exemption For Data Centers

DLA Piper on

The Virginia House of Delegates and Senate have released their respective budget proposals, with each containing provisions that would materially impair or effectively eliminate the sales and use tax exemption (Exemption) for...more

Holland & Knight LLP

No $713 Million Deduction in Partnership Basis-Shifting Transaction

Holland & Knight LLP on

The U.S. Tax Court on February 23, 2026, issued a decision in Otay Project LP v. Commissioner sustaining the IRS' disallowance of more than $713 million in deductions attributable to a Section 743(b) basis adjustment. The...more

Akin Gump Strauss Hauer & Feld LLP

UK Whistleblowing Updates

Under Part IVA of the Employment Rights Act 1996, “protected disclosures”– which is the UK legislative term for “whistleblowing reports”can be made either to an employer or to certain “prescribed persons”. For those working...more

Troutman Pepper Locke

IRS Releases Proposed Regulations on Crypto Information Reporting

Troutman Pepper Locke on

On March 5, 2026, the IRS issued proposed regulations (the Proposed Regulations) setting forth an alternative process for digital asset brokers to obtain consent from customers to receive Form 1099-DA statements...more

Fenwick & West LLP

CLE Takeaways: Navigating the Complexities of a Merger of Equals

Fenwick & West LLP on

For companies contemplating a Merger of Equals (MOE), especially chief legal officers and other senior executives, understanding the unique dynamics of this transaction type is critical. ...more

Pullman & Comley - For What It May Be Worth

Key Takeaways for 12-65b Property Tax Agreements After Connecticut Appellate Court Decision

Connecticut General Statutes Sec. 12-65b allows a property owner and a municipality to enter into an agreement fixing the property tax assessment on real property (including improvements in existence or being constructed) for...more

Whiteford

Client Alert: New York’s Mandatory Retirement Savings Program: What Employers Need to Know Before March 16, 2026

Whiteford on

New York employers who do not offer a retirement plan are about to face a new compliance obligation. The New York Secure Choice Savings Program requires covered private-sector employers to automatically enroll their employees...more

Rivkin Radler LLP

Determining Whether a “Partnership” Should Be Respected For Tax Purposes

Rivkin Radler LLP on

I am certain that most of you have encountered at least one unscrupulous “advisor” who tried to convince you or your client to take advantage of what they described as a perfectly legal “loophole” in the Code that could...more

Morgan Lewis

Corporate Aircraft Ownership and Operations: The Key Legal Issues to Know

Morgan Lewis on

While corporate aircraft offer flexibility, security, and efficiency for companies and executives, they also present a complex web of regulatory, compliance, and governance considerations across such areas as aviation, tax,...more

McDermott Will & Schulte

IRS roundup: March 3 – March 10, 2026

The IRS released Revenue Procedure 2026-15, which provides the inflation-adjusted luxury automobile depreciation limits under Internal Revenue Code (Code) Section 280F for passenger vehicles, including trucks and vans, placed...more

Pillsbury - SeeSalt Blog

California Groups File Signatures for Initiative to Curtail Local Taxes

A coalition of business and antitax groups announced that it has submitted more than 1.3 million signatures to qualify the “Local Taxpayer Protection Act to Save Proposition 13” for the November 2026 ballot. These groups...more

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