The quarterly Eversheds Sutherland SALT Scoreboard tallies significant state and local tax litigation wins and losses. In this Bottom Line videocast, Eversheds Sutherland attorneys Charles Capouet and Justin Brown discuss the results from the first two quarters of 2019, including:

  • how taxpayers have fared in litigation in the first two quarters of 2019 compared to

The quarterly Eversheds Sutherland SALT Scoreboard tallies significant state and local tax litigation wins and losses. In this Bottom Line webcast, Charles Capouet and Chelsea Marmor share 2018 year-end observations, including:

  • the overall results for 2018, including a breakdown of corporate income tax and sales and use tax case results
  • comparative results from 2016-2018

The Eversheds Sutherland SALT team spent time together last week collaborating on strategies to better serve our clients and celebrating the return of Tim Gustafson.

Partners: Dan Schlueter, Jeff Friedman, Michele Borens, Tim Gustafson, Jonathan Feldman, Maria Todorova, Scott Wright, Todd Lard, Charlie Kearns (Missing: Eric Tresh)

Welcome back Tim!

 

Significant developments in unclaimed property laws have turned settled expectations upside down in a variety of areas. While states continue to press forward on audits, new legislation, new regulation and litigation across the country are shifting the rules in this already uncertain area. Companies under audit face difficult choices ahead, and those not (yet) under

The November 26, 2018, release by the Internal Revenue Service of proposed regulations (REG-106089-18) related to IRC § 163(j) has provided some clarity for federal income taxpayers. But the regulations’ treatment of federal consolidated groups gives rise to complexities and questions as to how the limitation will operate at the state level.
This Bottom Line

The November 26, 2018, release by the Internal Revenue Service of proposed regulations (REG-106089-18) related to IRC § 163(j) has provided some clarity for federal income taxpayers. But the regulations’ treatment of federal consolidated groups gives rise to complexities and questions as to how the limitation will operate at the state level. In this Bottom