12 Nov 2024
Loper Bright and Tax: What’s the IRS and Treasury to Do?
The 2024 landmark case, Loper Bright Enters. v. Raimondo, 144 S. Ct. 2244 (June 28, 2024), officially jettisoned the 40-year-old Chevron two-step standard for statutory interpretation. Will Loper Bright motivate the Treasury Department and IRS to now avoid formal rulemaking and shift to more informal guidance that can be issued quickly without notice and comment? Post Loper Bright, will judges continue to find tax regulations persuasive and adopt the government's interpretation? For reference, one recent U.S. Tax Court Judge indicated a belief that the "Tax Court will continue to lend considerable credence to agencies' rules" due to Treasury and the IRS's "special competence in drafting tax regulations." See CRS, Reliance on Treasury Department and IRS Tax Guidance.
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Practical Guidance Updates
Featuring the latest updates from your Practical Guidance account.
- Tax Key Legal Developments Tracker (Federal)—keep up to date with key legal developments!
- Business Entities. IRS and Treasury issue final regulations to implement the advanced manufacturing investment credit established by the CHIPS Act of 2022 to incentivize the manufacture of semiconductors and semiconductor manufacturing equipment within the United States. 89 Fed. Reg. 84732 (Oct. 23, 2024).
- Employment, Health, and Welfare Plans. IRS issues 2025 cost-of-living adjustments for qualified plan and IRA limits. The new salary deferral limit for pre-tax/qualified Roth contributions is $23,500. The catch-up contribution limit for eligible employees aged 50 and over, remains at $7,500. Beginning in 2025, plans can (but are not required to) provide an extra catch-up for employees turning 60-63 in that year. IRS Notice 2024-80.
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