VideoData Breaches In 2018: Worldwide Enforcement & Aggregate Liability Trends (Video)Data Breaches in 2018: Worldwide Enforcement & Aggregate Liability Trends.United StatesPrivacyRopes & Gray LLP
Video2019 Highlights (Video)A recap celebrating some of Ropes & Gray's achievements in 2019 including awards and accolades for the high quality,United StatesStrategyRopes & Gray LLP
Article9th Circuit Altera Decision Could Warrant Rare En Banc ReviewIn a recent Law360 article, Kat Gregor provides insight on the Ninth Circuit's ruling in the Altera case. United StatesTaxRopes & Gray LLP
ArticleA Brief Exploration Of Privilege Nuances In The Tax ContextIn a recent Law360 article, tax partner and tax controversy group co-founder Kat Gregor, tax controversy counsel Elizabeth Smith and litigation associate Liz Tolon explore the tax privilege nuances associated with attorney-client privilege and other relevant analogs that exist to protect client confidentiality. United StatesTaxRopes & Gray LLP
ArticleBusy New Year: Predicted IRS Enforcement Trends In 2021In a recent Bloomberg Tax article, tax partner and tax controversy group co-founder Kat Gregor, tax controversy counsel Elizabeth Smith andUnited StatesTaxRopes & Gray LLP
ArticleEssential Guidance In The TCJA's WakeIn a recent Tax Notes article, "Essential Guidance in the TCJA's Wake," Kat Gregor highlights key areas of focus for the U.S. Treasury when drafting guidance following the passing of the Tax Cuts and Jobs ActUnited StatesTaxRopes & Gray LLP
ArticleGabby's Case Of The Quarter-Lender Management LLC v. Commissioner Of Internal RevenueThe Quarter-Lender Management LLC v. Commissioner Of Internal Revenue.United StatesTaxRopes & Gray LLP
ArticleGabby's Case Of The Quarter–South Dakota v. WayfairOn June 21, 2018, the Supreme Court ruled in Wayfair that the State of South Dakota may constitutionally require large online retailers without actual physical presence in the state to collect and remit sales tax.United StatesTaxRopes & Gray LLP
ArticleIn Tax Notes Federal, Bob Kane Examines QSub DispositionsIn Tax Notes Federal, Bob Kane Examines QSub Dispositions.United StatesTaxRopes & Gray LLP
ArticleMicrosoft Ruling Highlights Need To Document Biz DecisionsMicrosoft Ruling Highlights Need To Document Biz Decisions.United StatesTaxRopes & Gray LLP
ArticlePartnership Terminations: When Does Something Become NothingIn a recent Tax Notes Special Report article, tax associate Bob Kane explores whether case law has established an asset threshold at which liquidating partnerships either terminate or continue under section 708.United StatesTaxRopes & Gray LLP
ArticlePodcast: Cum-Ex Dividend Trade InvestigationsIn this Ropes & Gray podcast, Alec Oveis, an associate in the tax and benefits group is joined by Kat GregorUnited StatesTaxRopes & Gray LLP
ArticlePodcast: Texas v. United States Of AmericaThis case deals with the constitutionality of the Individual Mandate in the Patient Protection and Affordable Care Act.United StatesTaxRopes & Gray LLP
ArticleTax Considerations When Marrying A Foreign PrinceIn a recent Law360 article, Kat Gregor comments on current and future tax obligations Meghan Markle, Duchess of Sussex, should consider as a U.S. citizen living abroad and married to a non-U.S. resident.United StatesTaxRopes & Gray LLP
ArticleTax Law Still Leaves Room For Companies To Write Off Settlement AgreementsIn two recent Bloomberg Law articles, Kat Gregor comments on rules governing deductibility of payments enacted to governments as part of 2017 tax reform, including deporting requirements...United StatesTaxRopes & Gray LLP
ArticleWhen Down The Hall Becomes Across State Lines—Part 1Many people relocated to a different state as Covid-19 pandemic restrictions intensifiedUnited StatesTaxRopes & Gray LLP
ArticleWhen S Corporations Should Elect Entity Treatment For GILTI PurposesIn a recent Tax Notes Federal article, tax associate Bob Kane analyzes Notice 2020-69 and the S corporations and shareholders that would benefit from ...United StatesTaxRopes & Gray LLP
ArticleIRS Says Cryptocurrency Revenue Ruling ‘Speaks For Itself'In a recent Tax Notes article, tax associate Franziska Hertel provides commentary on the October 2019 IRS guidance that discusses two cryptocurrency hard fork situations:...United StatesTechnologyRopes & Gray LLP
ArticleRetail Investments In Private Funds: Regulatory Obstacles And OpportunitiesOver the past several years, regulators and market participants increasingly have called for the expansion of investment opportunities ...United StatesWealth ManagementRopes & Gray LLP
VideoSEC Priorities For Asset Management Industry (Video)David Tittsworth, Ropes & Gray investment management counsel, examines what's changed for the asset management industry under the Trump administration and what to expect during 2018. United StatesWealth ManagementRopes & Gray LLP