Newsletter
| May 27, 2010
Focus on Tax Controversy and Litigation (Volume III, Issue 3)
In this issue:
- War on Tax Fraud and in Afghanistan: Who Knew They Were Linked?
- IRS Issues New Transitional Rules for Taxation of Substitute Dividends
- Textron Submits Reply Brief, but Supreme Court Denies Certiorari
- Tax Court Rules Foreign Currency Options Are Not Section 1256 Contracts, Taxpayer’s Major/Minor Transaction Fails to Generate Loss
- Delaware Court Upholds Use of Shareholder Rights Plan to Protect NOLs
- United Kingdom Tribunal Grants Treaty Relief to Investor in Delaware LLC
- Swiss People’s Party Announces Support for UBS Pact
- Treasury and IRS Officials Discuss Prospective FATCA Guidance
- Employment Tax Audit Program to Ignore Coordinated Industry Cases
For more information, please contact your Dewey & LeBoeuf relationship partner, or one of the following:
This memorandum is intended only as a general discussion of these issues. It is not considered to be legal advice. We would be pleased to provide additional details or advice about specific situations. For additional information on this important topic, please feel free to call upon your Dewey & LeBoeuf relationship partner. No part of this publication may be reproduced, in whole or in part, in any form, without our prior written consent.
For further information on Dewey & LeBoeuf, please visit www.dl.com. +1 888 532 6383