After granting permission to the Internal Revenue Service to serve a digital exchange company a summons for user information, the Federal District Court for the Northern District of California created some uncertainty regarding the privacy of cryptocurrencies. The IRS views this information gathering as necessary for monitoring compliance with Notice 2014-21, which classifies cryptocurrencies as property for tax purposes. Cryptocurrency users, however, view the attempt for information as an infringement on their privacy rights and are seeking legal protection. This Issue Brief investigates the future tax implications of Notice 2014-21 and considers possible routes the cryptocurrency market can take to avoid the burden of capital gains ...
Cryptocurrencies offer an alternative to traditional methods of electronic value exchange, promising...
The new European regulatory framework for crypto- assets contains strict reporting requirements for ...
The IRS recently issued its second description of how it will treat Bitcoin and other blockchain ass...
After granting permission to the Internal Revenue Service to serve a digital exchange company a summ...
This paper explores the challenges the cryptocurrency industry has been confronting in the United St...
In Jarrett v. United States, a taxpayer in Tennessee is arguing that staking cryptocurrency did not ...
We will examine the benefits and dangers of implementing blockchain technology within the IRS framew...
Pursuant to its tax-collecting duty, the Internal Revenue Service (IRS) has the power to issue summo...
In this report, the authors discuss cryptocurrencies — especially bitcoin — and argue that because t...
This Article argues that, contrary to the common belief that Bitcoin enables tax evasion, the Intern...
This article shows that wallets storing cryptocurrency are intangible property so that they ought t...
Cryptocurrencies can have significant privacy costs. A motivated adversary has available a range of ...
In Jarrett v. United States, a taxpayer in Tennessee is arguing that staking cryptocurrency did not ...
IRS Tax Notice 2014-21 was the first IRS issued guidance since the creation of cryptocurrency. This ...
I describe the mechanisms by which cryptocurrencies — a subcategory of virtual currencies — could re...
Cryptocurrencies offer an alternative to traditional methods of electronic value exchange, promising...
The new European regulatory framework for crypto- assets contains strict reporting requirements for ...
The IRS recently issued its second description of how it will treat Bitcoin and other blockchain ass...
After granting permission to the Internal Revenue Service to serve a digital exchange company a summ...
This paper explores the challenges the cryptocurrency industry has been confronting in the United St...
In Jarrett v. United States, a taxpayer in Tennessee is arguing that staking cryptocurrency did not ...
We will examine the benefits and dangers of implementing blockchain technology within the IRS framew...
Pursuant to its tax-collecting duty, the Internal Revenue Service (IRS) has the power to issue summo...
In this report, the authors discuss cryptocurrencies — especially bitcoin — and argue that because t...
This Article argues that, contrary to the common belief that Bitcoin enables tax evasion, the Intern...
This article shows that wallets storing cryptocurrency are intangible property so that they ought t...
Cryptocurrencies can have significant privacy costs. A motivated adversary has available a range of ...
In Jarrett v. United States, a taxpayer in Tennessee is arguing that staking cryptocurrency did not ...
IRS Tax Notice 2014-21 was the first IRS issued guidance since the creation of cryptocurrency. This ...
I describe the mechanisms by which cryptocurrencies — a subcategory of virtual currencies — could re...
Cryptocurrencies offer an alternative to traditional methods of electronic value exchange, promising...
The new European regulatory framework for crypto- assets contains strict reporting requirements for ...
The IRS recently issued its second description of how it will treat Bitcoin and other blockchain ass...