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McDermott Will & Emery partners with leaders around the world to fuel missions, knock down barriers and shape markets. Our team works seamlessly across practices, industries and more than 20 locations to deliver highly effective—and often unexpected—solutions that propel success. More than 1,200 lawyers strong, we bring our personal passion and legal prowess to bear in every matter for our clients and the people they serve.

Former Tax Court Judge Robert P. Ruwe Passes Away


By and on Feb 23, 2022
Posted In Trial Courts, Uncategorized

We are deeply saddened to report that retired US Tax Court Judge Robert P. Ruwe passed away on February 12, 2022. The Tax Court’s press release aptly stated: “Judge Ruwe was known for his extraordinary memory and grasp of tax law, and for the valuable experience that he brought to his work.” We both clerked...

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Tax Court Posts New Citation and Style Manual


By and on Feb 3, 2022
Posted In Court Procedure Matters, Trial Courts

A substantial amount of our practice over the years has involved representing clients before the US Tax Court. And, we both started our tax careers clerking at the Tax Court and working on dozens of orders and opinions. Needless to say, we are familiar with the ins and outs of the Tax Court. When it...

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Supreme Court Justice Breyer Announces Upcoming Retirement—A Look Back at His Tax Opinion in Home Concrete


By and on Jan 31, 2022
Posted In Appellate Courts, Court Procedure Matters, Tax Reform, Trial Courts

On January 27, 2022, Supreme Court of the United States Justice Stephen Breyer formally announced his retirement, effective when the Supreme Court breaks for summer recess in June or July later this year—after his successor has been nominated and confirmed. Justice Breyer has served on the Supreme Court since 1994 and is the second-most senior...

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Revoking Your Power of Attorney Status


By and on Jan 28, 2022
Posted In IRS Audits, IRS Guidance

To represent a taxpayer before the Internal Revenue Service (IRS), you need a valid power of attorney (POA). This is accomplished by preparing and submitting a properly completed Form 2848, Power of Attorney and Declaration of Representative pursuant to the Instructions for Form 2848. At some point, the representation will end (or it ends for...

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IRS Chief Counsel Signals Increased Tax Enforcement


By , and on Jan 27, 2022
Posted In Appellate Courts, Court Procedure Matters, IRS Appeals, IRS Audits, IRS Guidance, Trial Courts

The Internal Revenue Service (IRS) Chief Counsel is the chief legal advisor to the Commissioner of Internal Revenue on all matters pertaining to the interpretation, administration and enforcement of the Internal Revenue Laws. In this regard, the IRS Office of Chief Counsel is responsible for litigating cases in the US Tax Court. Such cases can...

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National Taxpayer Advocate’s Report Highlights Tough Times for Tax Administration


By and on Jan 18, 2022
Posted In Alternative Dispute Resolution, IRS Audits, IRS Guidance, Tax Reform, Tax Refunds

On January 12, 2022, the National Taxpayer Advocate released a report to US Congress concerning the state of tax administration in 2021. The report highlights the struggles the Internal Revenue Service (IRS) has been having in the wake of the COVID-19 pandemic, including how the IRS is substantially behind in processing returns, the breakdown of...

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Extending the Statute of Limitations for Assessing Federal Tax


By and on Jan 14, 2022
Posted In IRS Audits, Tax Reform, Tax Refunds

We previously provided an overview of the time limits imposed on the Internal Revenue Service (IRS) for assessing federal tax. The general rule is that the IRS must assess tax within three years from the later of the due date of the original tax return or the date it was filed. If the IRS does...

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A Sit-Down with Andrew VanSingel


By on Jan 12, 2022
Posted In Uncategorized

Andrew Roberson interviewed Andrew VanSingel, who dedicated his career to providing pro bono and public services to low-income taxpayers, for an American Bar Association Pro Bono Matters column. They discussed VanSingel’s work in the disaster relief area and at TAS, shared advice for young lawyers who want to get more involved in pro bono work...

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Tax Court Opinions Are Searchable (Again)


By and on Dec 29, 2021
Posted In Court Procedure Matters, Trial Courts

The US Tax Court gave taxpayers and tax practitioners a belated Christmas gift when it announced that the Opinion search feature is back. This news comes on the heels of the Tax Court’s reintroduction of the Order search function earlier this month. The Opinion search function allows the public to search for specific cases by...

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Types of Tax Court Opinions and Their Precedential Effect (Updated)


By and on Dec 20, 2021
Posted In Court Procedure Matters, Trial Courts

At the end of 2016 we posted “Types of Tax Court Opinions and Their Precedential Effect” and added that document to the Resources tab on the blog. We recently updated this resource and, below, we’ve also provided the updated text. Most tax cases are decided by the US Tax Court, which issues two categories of...

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