Newsletter
| June 17, 2009
Focus on Tax Controversy and Litigation (Volume II, Issue 4)
In this issue:
- IRS Strategizes in Preparation for FTC Generator Cases
- IRS Commissioner Shulman Outlines Plan for Addressing International Tax Concerns
- First Circuit Hears En Banc Arguments in Textron
- United States and Luxembourg Amend Tax Treaty to Facilitate Increased Information Exchange
- Court Allows Additional Amicus Brief in Swiss Banking Case
- NY Adopts Federal Procedures for Losses Attributable to Ponzi Arrangements
- Director of the IRS Office of Professional Responsibility Plans Several Changes
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Klamath: The Fifth Circuit Gets "Conjunctivitis"
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Tigers Eye Trading: The US Tax Court Upholds Regulations and Denies Motion for Summary Judgment
- Tax Motivation of Partnership Actions Found Reviewable in Partner-Level Cases
- Tax Court Limits the Scope of the Exception to the Section 7525 Privilege in Countryside
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Xilinx, Inc. v. Commissioner: Ninth Circuit Requires Related Companies to Share All Joint Venture Costs
- Upcoming Supreme Court Patent Case May Affect Tax Strategy Patents
- Brazil High Court Denies Tax Credit for Raw Materials
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.
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