Leading Tax Experts Review Path to Critical Supreme Court Decision in 2012
To
resolve conflicts among no less than six circuit courts of appeal, the Supreme
Court will decide in 2012 if an overstatement in basis can create an
understatement of income of more than 25% so as to trigger a six year statute
of limitations on assessment. Leading
tax authorities will offer their own insights in a new BNA webinar, The Constitution, the Supreme Court and the Overstatement of Basis
Constituting an Understatement of Income on December
5, 2012.
The
webinar will review the legislative history of the six year statute of
limitations, analyze the court cases interpreting it to date and suggest
options the Supreme Court and ultimately Congress have to resolve whether
regulations may always overturn prior court decisions.
In
60-90 minutes, the presenters will explain:
- The 6 year
statute under Section 275 (1939 Code) and Section 6501(e) with 2010
amendments
- Section 6229(c)
with 2010 amendments
- The Colony
decision
- Son-of-Boss
cases that raise issue again
- Initial court
opinions
- Intermountain I
(T.C. 2009)
- Salman Ranch I
(Fed. Cir. 2009)
- Bakersfield
(9th Cir. 2009) inviting IRS to promulgate regs.
- Regulatory
response
- 7805 effective
date
- Temp. regs.
(Sept. 2009) final (Dec. 2010)
- Intermountain II
(May 2010)
- Mayo (January
2011)
- Brand X
- Circuit Court
opinions
- Pro-government
- Beard (7th Cir.); Grapevine (Fed Cir); Salman Ranch II (10th Cir.);
Intermountain (D.C. Cir.)
- Pro-taxpayer -
Burks (5th Cir.): Home Concrete (4th Cir.)
- Supreme Court
grants cert. in Home Concrete (September 20II)
Upon
completion of this program, participants will be able to:
- Understand the
circumstance whereby a 6 year statute of limitation may apply to a
taxpayer.
- Appreciate the
issue of whether a Supreme Court case can be overruled by a subsequent
- IRS regulation.
- Understand the
need for adherence to the APA procedures for temporary regulations.
- Appreciate that
the resolution of this issue has enormous impact on the relationship of
the executive and judicial branches of government.
About the Speakers
Kim Marie Boylan is a partner with
the law firm of White & Case in Washington, D.C. where she specializes in
tax controversy litigation.
Professor Donald Williamson is the Howard S. Dvorkin Faculty Fellow and
Executive Director of the Kogod Tax Center at American University.
Dr. A. Blair Staley is an accounting professor in the College of Business,
Bloomsburg University of Pennsylvania.
The Constitution, the Supreme Court and the
Overstatement of Basis Constituting an Understatement of Income takes place December 5,
2011, from 12:30 PM – 2:00 PM, (ET). To register for this webinar and obtain
further information about CLE and CPE credits, go to http://www.bna.com/constitution-supreme-court-w12884904348/?utm_source=newswire&utm_medium=PR&utm_content=TM&utm_campaign=Webinar-12052011 or (in the U.S.) call
800.372.1033, menu Option 6, then Option 1. The per site fee is $249.
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receive automatic, email notification of upcoming BNA webinars that may be of
interest to you, go to: http://www.bna.com/emailsignup.htm
About
BNA Tax & Accounting Webinars
BNA
Tax & Accounting is the foremost source of tax and accounting research,
news, practice tools, and guidance for tax attorneys, CPAs, corporate tax
managers, estate planners, and financial accountants. Designed for
today's busy practitioners, our webinars offer the same expertise and relevance
that are the hallmark of all BNA Tax &
Accounting
resources. In just 60-90 minutes, practitioners gain in-depth knowledge on a
current tax or accounting topic from experts in that area — and benefit from
practical applications that can be put to work immediately. Conference
attendees have the opportunity to ask the speakers questions, and may be
eligible to earn CLE or CPE credits — all from the convenience of their own
office or conference room.
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