The U.S. Supreme Court’s decision to eliminate federal agencies’ ability to rely on the 40-year-old Chevron doctrine to defend their interpretations of ambiguous laws will likely trigger more litigation against the IRS. But that doesn’t mean the agency is completely defenseless against such suits. Here, Law360 explores three defense options for the IRS following Chevron’s demise.
3 Defenses The IRS Can Fall Back On After Chevron’s Demise
by usoftax_admin | Jul 11, 2024 | Tax News
