From the first notice of claim to the last gasp of a confirmed plan, mass-tort bankruptcies are where coverage law gets tested—and sometimes torched. Discover how to stay ahead of the fire. Read...
Lenders typically require an opinion from borrower’s counsel in connection with a financing transaction. Review this resource kit for an overview of the process of drafting and delivering legal opinions...
Time is fleeting—by definition. Before you know it, antitrust claims can become stale. And antitrust statutes of limitations (SOLs) may bar them as a matter of law. As a litigator, whether for plaintiff...
As of July 2025, 38 U.S. states and the District of Columbia have legalized sports betting in some form—either online, in-person, or both. This expansion follows the Supreme Court's 2018 decision...
Building decarbonization and energy efficiency initiatives are spreading across the country, driven by both governmental regulatory mandates and private sector goals aimed at monitoring and reducing greenhouse...
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The Joint Chiefs of Global Tax Enforcement, consisting of the IRS’s Criminal Investigation unit, with representatives of the UK, Canada, Australia, and the Netherlands (known as the Joint Chiefs of Global Tax Enforcement or the J5) meets yearly to discuss and cooperate on combating common tax evasion issues and challenges. This practice note provides an overview of recent developments in the area of international tax enforcement, including the role of cryptocurrency and the financial technology industry in tax evasion. Also discussed is how the COVID-19 pandemic is not only impacting the work of tax enforcement officials globally, but also potential tax policy and legislation shifts driven by the increased demands for governmental social and other benefit programs.
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