On June 25, 2020, the Internal Revenue Service (“IRS”) announced a settlement initiative (“SI”) to certain taxpayers with pending docketed cases involving syndicated conservation easement (“SCE”) transactions. The SI is the current culmination of a long series of attacks by the IRS against SCE transactions. The IRS has recently found success in the Tax Court against SCEs, but the agency’s overall legal position may be overstated. It is possible that the recent SI is merely an attempt to capitalize on leverage while the IRS has it. Regardless, the current state of the law surrounding SCEs is murky at best. Whether a taxpayer is contemplating the settlement offer, is currently involved in an unaudited SCE transaction, or is considering involv...
The IRS’s duty to ensure the public’s compliance with tax law largely involves defining what taxpaye...
During the past decade, tax shelter investments were among the most controversial planning devices u...
Internal Revenue Code § 170(h)(5)(A) requires that the conservation purpose of a deductible conserva...
On June 25, 2020, the Internal Revenue Service (“IRS”) announced a settlement initiative (“SI”) to c...
The conservation easement is a powerful tool for conserving private land in the United States and be...
During 1976, Congress placed some severe restrictions on tax shelter investments. In addition, even ...
This article examines the Treasury’s 2017 proposals refining Section 170(h). This article assesses t...
Conservation easements are increasingly popular. They protect undeveloped land by removing the devel...
Paul Daugerdas gained notoriety for himself and his erstwhile firm, Jenkens & Gilchrist, as the desi...
Property owners who make charitable gifts of perpetual conservation easements are eligible to claim ...
Since 2006, the Tax Court, District Courts, and Circuit Courts have collectively issued more than on...
The IRS recently disclosed that it has identified more than 100 executives at 42 leading public corp...
This article describes the ongoing legislative and administrative efforts to curtail tax shelters. I...
The charitable deduction for conservation easements promises a conservation benefit, lasting forever...
There continues to be heated discussion about tax reform in the area of real estate tax shelters. In...
The IRS’s duty to ensure the public’s compliance with tax law largely involves defining what taxpaye...
During the past decade, tax shelter investments were among the most controversial planning devices u...
Internal Revenue Code § 170(h)(5)(A) requires that the conservation purpose of a deductible conserva...
On June 25, 2020, the Internal Revenue Service (“IRS”) announced a settlement initiative (“SI”) to c...
The conservation easement is a powerful tool for conserving private land in the United States and be...
During 1976, Congress placed some severe restrictions on tax shelter investments. In addition, even ...
This article examines the Treasury’s 2017 proposals refining Section 170(h). This article assesses t...
Conservation easements are increasingly popular. They protect undeveloped land by removing the devel...
Paul Daugerdas gained notoriety for himself and his erstwhile firm, Jenkens & Gilchrist, as the desi...
Property owners who make charitable gifts of perpetual conservation easements are eligible to claim ...
Since 2006, the Tax Court, District Courts, and Circuit Courts have collectively issued more than on...
The IRS recently disclosed that it has identified more than 100 executives at 42 leading public corp...
This article describes the ongoing legislative and administrative efforts to curtail tax shelters. I...
The charitable deduction for conservation easements promises a conservation benefit, lasting forever...
There continues to be heated discussion about tax reform in the area of real estate tax shelters. In...
The IRS’s duty to ensure the public’s compliance with tax law largely involves defining what taxpaye...
During the past decade, tax shelter investments were among the most controversial planning devices u...
Internal Revenue Code § 170(h)(5)(A) requires that the conservation purpose of a deductible conserva...