The U.S. Supreme Court’s recent Securities and Exchange Commission v. Jarkesy decision has profound implications for other agencies, including the IRS, which must stop ignoring due process and curtailing congressional intent in its policing of captive insurance arrangements, says Peter Dawson at the 831(b) Institute.
After Jarkesy, IRS Must Course-Correct On Captive Insurance
by usoftax_admin | Jul 26, 2024 | Tax News
