On June 21, 2023, Andrew Weiner presents a webinar regarding the potential federal tax implications of Loper Bright Enterprises v. Raimondo and the possible repeal of Chevron deference to the ABA Tax Section Administrative Practice Committee.
Description: Next term, the Supreme Court will consider in Loper Bright Enterprises v. Raimondo, Case No. 22-451, whether to invalidate Chevron deference paid to most agency regulations. The issue is central to how agencies operate, and Treasury and the IRS are no exceptions. Andy summarizes the case and the arguments made in the cert petition and then turns to trends in recent Supreme Court cases challenging regulations to anticipate where the Court may be going.
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