The U.S. Supreme Court’s groundbreaking decision to curb the U.S. Securities and Exchange Commission’s in-house fraud enforcement could hamper the IRS’ ability to assert certain penalties, including in contested conservation easement cases, and challenge the U.S. Tax Court’s authority to review them. Here, Law360 examines three arenas in which the Supreme Court decision could shake up tax administration and litigation.
3 Ways Justices’ SEC Fraud Ruling Could Affect Tax Disputes
by usoftax_admin | Aug 30, 2024 | Tax News
