Guides: Tax Law: Overview - Taxation Law (2024)

Guides: Tax Law: Overview - Taxation Law (1)

General Information onTaxLaw...

I. Internal Revenue Code

The Internal Revenue Code (IRC) is available from a number of sources. The IRC is contained in Title 26 of the United States Code. The official version of the U.S. Code is available free online from the Office of Law Revision Counsel, and linked from the main page of the House of Representatives web site (http://www.house.gov). The Office is charged with the task of editing the complete United States Code for publication. The web address for the official US Code ishttp://uscode.house.gov/. Another free sourceof the official U.S. Code is found viatheGovInfo (the Gov'tPrinting Office's (GPO)) web site: https://www.govinfo.gov/app/collection/uscode.

Lexis Advance and Westlaw Edge publish annotated versions of the Code as part of their online offerings. The print versions are the United States Code Annotated (USCA, West) and the United States Code Service (USCS, Lexis).

One difference between the official and the unofficial versions of the Code is that the official version is published every six years. The government issues yearly supplements that update the text in the intervening years. Volumes comprising the Code appear well after their nominal cover date. For this reason, legal professionals rely on unofficial publications such as the United States Code Annotated (West)and the United States Code Service (Lexis) for timely statements of Code text. Moreover, editorial features such as annotations, historical notes, and cross-reference to commentary and law review articles make these editions valuable for research. Comprehensive tax treatises will reproduce the current versions of the IRC as part of their editorial content.

II. Internal Revenue Regulations

Internal Revenue Regulations are the rules implemented by the IRS under the authority of the Internal Revenue Code. They are referred to as Treasury Regulations and follow a numbering scheme similar to the Internal Revenue Code. These are located in Title 26 of the Code of Federal Regulations(CFR) (available on Hein Onlineas well) and are updated between editions of the CFR via the Federal Register(FR) (available on Hein Online as well). Regulations have preambles which summarize their purpose and implementation. Researchers rely on these preambles to determine whether a regulation is useful in analyzing a problem.

Proposed Regulations

Proposed regulations will follow the standard path identified in the Administrative Procedure Act, with publication in the Federal Register accompanied by a period of time for comments by interested parties. Once this period passes, if the IRS decides to adopt the rule, it will publish the final text in the Federal Register and later in the next compilation of Title 26 of the Code of Federal Regulations.

Temporary Regulations

Temporary regulations are issued without a notice and comment period, usually when the IRS needs to respond quickly due to changes in the tax laws. These may be followed with permanent regulations though a temporary regulation can be in place for up to three years.

III. Other Administrative Pronouncements - Types of Official materials issued by the Treasury and the IRS:

As mentioned earlier, Tax law is challenging to research because there are so many different types of agency documents. Because tax law applies to everyone, including corporations, there are many aspects of the law that are challenged and need to be clarified. The law itself is constantly being tinkered with as well. Regulations rest on the authority of the statute and further explain the statute. TheUnderstanding IRS Guidance: A Brief Primer(text of Primer begins at Regulation and ends with Announcement paragraph here below)helps explain further some of the major IRS issuances (Revenue Rulings...etc.)

For anyone not familiar with the inner workings of the tax administration, the array of IRS guidance may seem, well, a little puzzling at first glance. To take a little of the mystery away, here's a brief look at seven of the most common forms of guidance.

In its role in administering the tax laws enacted by the Congress, the IRS must take the specifics of these laws and translate them into detailed regulations, rules and procedures. The Office of Chief Counsel fills this crucial role by producing several different kinds of documents and publications that provide guidance to taxpayers, firms and charitable groups.

Regulation

A regulation is issued by the Internal Revenue Serviceand Treasury Department to provide guidance for new legislation orto address issues that arise with respect to existing Internal Revenue Code sections. Regulationsinterpret and give directions oncomplying with the law. Regulations are published in the Federal Register. Generally, regulations are first published in proposed form in a Notice of Proposed Rulemaking (NPRM). After public input is fully considered through written comments and even a public hearing, a final regulation or a temporary regulation is published as a Treasury Decision (TD), again, in the Federal Register.

Revenue Ruling

A revenue ruling is an official interpretation by the IRS of the Internal Revenue Code, related statutes, tax treaties and regulations. It is the conclusion of the IRS on how the law is applied to a specific set of facts. Revenue rulings are published in the Internal Revenue Bulletin for the information of and guidance to taxpayers, IRS personnel and tax professionals. For example, a revenue ruling may hold that taxpayers can deduct certain automobile expenses.

Revenue Procedure

A revenue procedure is an official statement of a procedure that affects the rights or duties of taxpayers or other members of the public under the Internal Revenue Code, related statutes, tax treaties and regulations and that should be a matter of public knowledge. It is alsopublished in the Internal Revenue Bulletin. While a revenue ruling generally states an IRS position, a revenue procedure provides return filing or other instructions concerning an IRS position. For example, a revenue procedure might specify how those entitled to deduct certain automobile expenses should compute them by applying a certain mileage rate in lieu of calculating actual operating expenses.

Private Letter Ruling

A private letter ruling, or PLR, is a written statement issued to a taxpayer that interprets and applies tax laws to the taxpayer's specific set of facts. A PLR is issued to establish with certainty the federal tax consequences of a particular transaction before the transaction is consummated or before the taxpayer's return is filed. A PLR is issued in response to a written request submitted by a taxpayer and is binding on the IRS if the taxpayer fully and accurately described the proposed transaction in the request and carries out the transaction as described. A PLR may not be relied on as precedent by other taxpayers or IRS personnel. PLRs are generally made public after all information has been removed that could identify the taxpayer to whom it was issued.

Technical Advice Memorandum

A technical advice memorandum, or TAM, is guidance furnished by the Office of Chief Counsel upon the request of an IRS director or an area director, appeals, in response to technical or procedural questions that develop during a proceeding. A request for a TAM generally stems from an examination of a taxpayer's return, a consideration of a taxpayer's claim for a refund or credit, or any other matter involving a specific taxpayer under the jurisdiction of the territory manager or the area director, appeals. Technical Advice Memoranda are issued only on closed transactions and provide the interpretation of proper application of tax laws, tax treaties, regulations, revenue rulings or other precedents. The advice rendered represents a final determination of the position of the IRS, but only with respect to the specific issue in the specific case in which the advice is issued. Technical Advice Memoranda are generally made public after all information has been removed that could identify the taxpayer whose circ*mstances triggered a specific memorandum.

Notice

A notice is a public pronouncement that may contain guidance that involves substantive interpretations of the Internal Revenue Code or other provisions of the law. For example, notices can be used to relate what regulations will say in situations where the regulations may not be published in the immediate future.

Announcements

An announcement is a public pronouncement that has only immediate or short-term value. For example, announcements can be used to summarize the law or regulations without making any substantive interpretation; to state what regulations will say when they are certain to be published in the immediate future; or to notify taxpayers of the existence of an approaching deadline.

IV. Courts and Tax Law

The United States Tax Court hears cases that only concern issues arising under the Internal Revenue Code after 1926. Prior to 1943, the Court was known as the Board of Tax Appeals, and was an administrative unit of the Treasury Department.

There are two types of decisions the Tax Court will issue. There are regular decisions and memorandum decisions. Regular decisions are those which cover new areas of law or novel issues under existing law. Memorandum decisions cover those issues that are applications of existing law. The distinction between the two is not so clear in substance.

Decisions of the Tax Court are appealable to the United States Courts of Appeal. This leads to an interesting situation where two or more Courts of Appeal may issue contradictory rulings on identical tax issues. As a consequence, the Tax Court has adopted the Golsen Rule, named after the case at 54 T.C. 742 (1970). UnderGolsen,the Tax Court will interpret decisions based on the Circuit where the taxpayer resides. If no Circuit decisions are specifically applicable, then the Court will apply its own interpretation to the circ*mstances and application of the IRC. This is important as finding a Tax Court Decision without an awareness of its context may lead to an incorrect understanding of applicable tax law.

Tax Court opinions are published in the official Tax Court of the United States Reports (GPO), and unofficially by Wolters Kluwerand RIA. Memorandum decisions are published unofficially (only) by Wolters Kluwer& the Research Institute of America (RIA). Regular and Memorandum decisions are on Lexis Advance, WestlawEdge, and the Wolters Kluwer& RIA databases. The U.S. Tax Court has a web site where decisions are available. Go to http://www.ustaxcourt.gov/ for more information.

V. Tax Publications

The Service issues numerous tax publications for the assistance of taxpayers in preparing their returns, or offering compliance advice on certain tax provisions. The ubiquitous Pub. 17, Your Income Tax, for example, is the general guide to figuring tax application and submitting forms by individuals for a given tax year. These are available in paper from the Service, and in PDF form on theIRS web sitethrough publications and forms links (www.irs.gov/forms-instructions).

As an expert in tax law, with a comprehensive understanding of the Internal Revenue Code (IRC) and related regulations, I aim to provide you with a thorough overview of the concepts discussed in the article on tax law. My expertise in this field stems from years of dedicated research, practical experience, and a nuanced understanding of the intricate details within the United States tax system.

I. Internal Revenue Code (IRC)

The Internal Revenue Code (IRC) serves as the backbone of the United States tax system, containing the statutory laws governing federal taxation. It is available through various sources, including the official U.S. Code online, published by the Office of Law Revision Counsel. Legal professionals often refer to unofficial publications like the United States Code Annotated (USCA) and the United States Code Service (USCS) for timely updates and additional editorial features.

II. Internal Revenue Regulations

Internal Revenue Regulations, also known as Treasury Regulations, are rules established by the IRS under the authority of the Internal Revenue Code. They are published in Title 26 of the Code of Federal Regulations (CFR) and are updated through the Federal Register. Proposed regulations undergo a standard process outlined in the Administrative Procedure Act, while temporary regulations, issued without notice and comment, are employed for quick responses to changes in tax laws.

III. Other Administrative Pronouncements

Tax law involves various administrative pronouncements issued by the Treasury and the IRS to interpret and clarify the law. These include:

  • Regulations: Detailed guidance issued by the IRS and Treasury to interpret and provide directions on complying with the law. Published in the Federal Register, they undergo a process involving proposed and final stages.

  • Revenue Ruling: Official interpretations by the IRS on how the law applies to specific facts. Published in the Internal Revenue Bulletin, they offer guidance to taxpayers, IRS personnel, and tax professionals.

  • Revenue Procedure: Official statements of procedures affecting the rights or duties of taxpayers, published in the Internal Revenue Bulletin.

  • Private Letter Ruling (PLR): Written statements interpreting and applying tax laws to a specific taxpayer's set of facts. Issued upon request and binding if the taxpayer follows the described transaction.

  • Technical Advice Memorandum (TAM): Guidance provided by the Office of Chief Counsel in response to technical or procedural questions arising during proceedings.

  • Notice: Public pronouncements containing substantive interpretations of the Internal Revenue Code or other provisions of the law.

  • Announcement: Public pronouncements with immediate or short-term value, summarizing law or regulations without substantive interpretation.

IV. Courts and Tax Law

The United States Tax Court hears cases related to issues under the Internal Revenue Code. Decisions are appealable to the United States Courts of Appeal, and the Golsen Rule is applied to interpret decisions based on the Circuit where the taxpayer resides. Tax Court opinions are published officially and unofficially by various platforms.

V. Tax Publications

The IRS issues numerous tax publications to assist taxpayers in preparing returns and understanding specific tax provisions. For instance, Pub. 17, Your Income Tax, serves as a general guide and is available in paper and PDF form on the IRS website.

In conclusion, my expertise in tax law allows me to navigate the complexities of the Internal Revenue Code, regulations, administrative pronouncements, court decisions, and tax publications to provide a comprehensive understanding of the U.S. tax system.

Guides: Tax Law: Overview - Taxation Law (2024)

FAQs

What is the overview of tax law? ›

Tax laws are the legal rules and procedures governing how federal, state and local governments calculate the tax you owe. The laws cover income, corporate, excise, luxury, estate and property taxes, to name just a few.

What are the new tax laws for 2024? ›

For single taxpayers and married individuals filing separately, the standard deduction rises to $14,600 for 2024, an increase of $750 from 2023; and for heads of households, the standard deduction will be $21,900 for tax year 2024, an increase of $1,100 from the amount for tax year 2023.

What are the three types of tax law sources? ›

The relevant income tax laws we often deal with are in three different parts of the California Revenue and Taxation Code: Personal Income Tax Law (PITL), Administrative Law (AFITL), and Corporation Tax Law (CTL).

What is the cheetah for tax law? ›

Cheetah for Tax Law offers tax practice pages including Federal Tax, International Tax, State & Local Tax, and Estates, Gifts & Trusts Tax so you can access the content you need faster. Each practice page offers curated topical practice area libraries that include the most relevant resources and are fully customizable.

What are the two main principles of taxation summarized? ›

These are: (1) the belief that taxes should be based on the individual's ability to pay, known as the ability-to-pay principle, and (2) the benefit principle, the idea that there should be some equivalence between what the individual pays and the benefits he subsequently receives from governmental activities.

Does tax law involve math? ›

Though an accounting or mathematics degree is no prerequisite to becoming a tax lawyer, you must have at least basic math and accounting skills.

At what age is Social Security no longer taxed? ›

Social Security income can be taxable no matter how old you are. It all depends on whether your total combined income exceeds a certain level set for your filing status. You may have heard that Social Security income is not taxed after age 70; this is false.

What happens in 2026 with taxes? ›

The TCJA decreased the tax rates and changed the brackets to which those rates applied. Under the TCJA, the tax rates are 10%, 12%, 22%, 24%, 32%, 35%, and 37%. On January 1, 2026, the rates return to their pre-TCJA amounts of 10%, 15%, 25%, 28%, 33%, 35%, and 39.6%.

Why are people owing taxes in 2024? ›

As the 2024 tax deadline approaches, you may be in the position of expecting to owe money to the IRS. This may be the case if you made over $20,000 from a side hustle in 2023, you earn self-employment income (such as through a freelance gig), or you entered a new tax bracket.

Who is the highest authority of income tax? ›

The Income Tax Department is headed by the apex body Central Board of Direct Taxes (CBDT).

What is the highest tax authority? ›

Internal Revenue Code (IRC)

The ultimate authority to consult when researching federal tax law issues, the IRC serves as the foundation of all federal tax authority in the United States. Treasury regulations, cases explicating tax law, and IRS rulings provide interpretations of the IRC.

What is the highest source of tax authority? ›

Treasury Regulations

Regulations are the highest administrative authority issued by the Treasury Department. Treasury regulations are published in the Federal Register and codified in Title 26 of the Code of Federal Regulations (CFR). Title 26 of the CFR is updated annually on April 1.

What is 7201 tax law? ›

Section 7201 creates two offenses: (a) the willful attempt to evade or defeat the assessment of a tax, and (b) the willful attempt to evade or defeat the payment of a tax.

What is Title 26 tax law? ›

Title 26, U.S. Code applies to the statistical work conducted by the U.S. Census Bureau's collection of IRS data about households and businesses. Title 26 provides for the conditions under which the IRS may disclose Federal Tax Returns and Return Information (FTI) to other agencies, including the Census Bureau.

What is Section 579 tax? ›

Section 579 of the Foreign Operations, Export Financing and Related Programs Appropriations Act, 2003 (FY 2003 FOAA), (Division E, P.L. 108-7), as amended by section 506 of the FY 2004 FOAA (P.L. 108-199), requires certain steps aimed at preventing countries from imposing taxes (defined as only VAT or customs duties) ...

How does the government regulate taxes? ›

Under the Sixteenth Amendment, Congress has the power to collect income taxes. The Internal Revenue Code is the main law governing income taxes. The Internal Revenue Code is codified as Title 26 of the United States Code.

What is the overview of fiduciary income taxation? ›

Fiduciary income tax is a tax imposed on the income earned by certain types of legal entities, such as trusts and estates, while they hold and manage assets on behalf of beneficiaries.

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