NOTE: MacMurray v. Commissioner: Distinguishing Between the Reasonable Cause and Good Faith Requirements of the Section 6664 Exception to Accuracy-Related Penalties.Published in:Tax Lawyer, 2008, v. 61, n. 2, p. 657Publication type:Article
NOTE: Can a Government Subsidize Itself? The Erosion of a Bright-Line Rule: PNC Financial Services Group v. Commissioner.Published in:Tax Lawyer, 2008, v. 61, n. 2, p. 639By:Kogut, MaryPublication type:Article
NOTE: Lawyers Versus Auditors: Disclosure to Auditors and Potential Waiver of Work-Product Privilege in United States v. Textron.Published in:Tax Lawyer, 2008, v. 61, n. 2, p. 621By:Golodny, AndrewPublication type:Article
NOTE: A Critical Analysis of Glass v. Commissioner: Why Size Should Matter for Conservation Easements.Published in:Tax Lawyer, 2008, v. 61, n. 2, p. 599By:Burke, Jonathan M.Publication type:Article
Judicial Deference to Tax Regulations: A Reconsideration in Light of National Cable, Swallows Holding, and Other Developments.Published in:2008By:Berg, Mark E.Publication type:Editorial
A Different Point of Venue The Plainer Meaning of Section 7482(b)(1).Published in:Tax Lawyer, 2008, v. 61, n. 2, p. 445By:Bamberg, JamesPublication type:Article
Deconstructing the Duty to the Tax System: Unfettering Zealous Advocacy on Behalf of Lesbian and Gay Taxpayers.Published in:Tax Lawyer, 2008, v. 61, n. 2, p. 407By:Infanti, Anthony C.Publication type:Article
Whistleblowers and Qui Tam for Tax.Published in:Tax Lawyer, 2008, v. 61, n. 2, p. 357By:Ventry Jr., Dennis J.Publication type:Article
STATEMENT OF EDITORIAL POLICY.Published in:Tax Lawyer, 2008, v. 61, n. 2, p. 355Publication type:Article