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Treasury Finalizes Controversial Regulations on IRS Penalty Oversight, but Debate Continues

Section 6751(b), designed to ensure supervisory oversight amid rising penalty assertions in settlement negotiations, has been contentious due its ambiguity, and the final regulations may not resolve the debate....more

Tax Court to Consider Relevancy Threshold for Economic Substance Doctrine Under Section 7701(o)

The Tax Court has invited amicus briefs and will address the codified meaning of the economic substance doctrine after increased IRS use of the doctrine to challenge taxpayer transactions. In a July 19, 2024, order in...more

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