How administrative law applies to tax rulemaking is an open and contested question. The resolution of this question has high stakes for the U.S. tax system. The paradigm is shifting away from so-called “tax exceptionalism”—where Treasury action is considered effectively exempt from the Administrative Procedure Act (the “APA”) and related administrative law doctrines. This paradigm-shift is salutary. However, currently prevailing anti-exceptionalist theory—an administrative framework for tax that is rapidly gaining credence within both the federal judiciary and the legal academy—threatens to destabilize the U.S. tax system. This formalistic approach to administrative law in tax rulemaking has the potential to invalidate a wide swath of exist...
The Supreme Court’s decision in Mayo Foundation for Medical Education and Research v. United States ...
In earlier work, I found that more than 40% of Treasury regulations studied are susceptible to legal...
To combat abusive tax shelters, the Department of the Treasury promulgated a general anti-abuse regu...
How administrative law applies to tax rulemaking is an open and contested question. The resolution o...
This Article argues that it is misleading to declare the death of tax exceptionalism and that struct...
This paper examines the arguments found in what has become known as the anti-tax exceptionalism lite...
Many courts and academics critique existing tax exceptionalism or the ability of the federal income ...
The tax administration is at risk of an overcorrection with respect to its rulemaking process. Tax p...
This Essay responds to the 2014 Duke Law Journal Administrative Law Symposium. Its principal content...
This Article takes the controversial position that Treasury regulations are entitled to judicial def...
On September 29, 2009, Treasury issued regulations retroactively extending the six-year limitations ...
In the early 1980\u27s, Congress faced the mounting problems of tax shelters and other forms of tax ...
This essay is Professor Pierce’s contribution to the annual Duke Law Journal symposium on administra...
This article is an invited reply to an article in the Minnesota Law Review regarding whether the “re...
Traditional perceptions of tax exceptionalism from administrativ–law doctrines and requirements have...
The Supreme Court’s decision in Mayo Foundation for Medical Education and Research v. United States ...
In earlier work, I found that more than 40% of Treasury regulations studied are susceptible to legal...
To combat abusive tax shelters, the Department of the Treasury promulgated a general anti-abuse regu...
How administrative law applies to tax rulemaking is an open and contested question. The resolution o...
This Article argues that it is misleading to declare the death of tax exceptionalism and that struct...
This paper examines the arguments found in what has become known as the anti-tax exceptionalism lite...
Many courts and academics critique existing tax exceptionalism or the ability of the federal income ...
The tax administration is at risk of an overcorrection with respect to its rulemaking process. Tax p...
This Essay responds to the 2014 Duke Law Journal Administrative Law Symposium. Its principal content...
This Article takes the controversial position that Treasury regulations are entitled to judicial def...
On September 29, 2009, Treasury issued regulations retroactively extending the six-year limitations ...
In the early 1980\u27s, Congress faced the mounting problems of tax shelters and other forms of tax ...
This essay is Professor Pierce’s contribution to the annual Duke Law Journal symposium on administra...
This article is an invited reply to an article in the Minnesota Law Review regarding whether the “re...
Traditional perceptions of tax exceptionalism from administrativ–law doctrines and requirements have...
The Supreme Court’s decision in Mayo Foundation for Medical Education and Research v. United States ...
In earlier work, I found that more than 40% of Treasury regulations studied are susceptible to legal...
To combat abusive tax shelters, the Department of the Treasury promulgated a general anti-abuse regu...