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17 Jun 2010, 3:34 pm by LindaMBeale
The Bloomberg.com article noted above quotes fellow tax lawyer and ABA Standards Committee officer Scott Michel (Caplin & Drysdale, DC) who got two calls today from panicked taxpayers hoping to be able to disclose accounts before the IRS gets their name. [read post]
9 Jun 2010, 9:31 am by Kashmir Hill
Before becoming an academic, Shaviro worked for Caplin & Drysdale in Washington, D.C., and then went on to the Joint Committee on Taxation. [read post]
29 Mar 2010, 10:00 am
On remand from SCOTUS, 2d Cir says making Chubb's claims against Travelers subject to 1986 confirmation order violates due process. http://ow.ly/1sbpL Debtor's failure to fund self-insured retention (SIR) doesn't excuse insurer's obligation to fund defense costs above SIR. http://ow.ly/1s9Yj 7th Cir. reverses Grede v BoNY: Caplin's limits on BK trustee's standing don't apply to post-confirm. liquidating trust. http://ow.ly/1rJxC Can a… [read post]
8 Feb 2010, 2:36 am by SHG
It's curious that the issue has been completely resolved as far as criminal defense lawyers are concerned with regard to both identities and fees (just ask Caplin & Drysdale or Goldberger & Dubin), yet remains in question when it comes to legislators. [read post]
26 Oct 2009, 11:30 am
The Government argued in this appeal "that the exemption in §1957(f)(1) has been nullified or vitiated because, shortly after the provision was enacted, the Supreme Court held in Caplin & Drysdale, Chartered v. [read post]
26 Oct 2009, 6:52 am
However, Caplin & Drysdale, which addresses a different statute governing the civil forfeiture of criminally derived proceeds, has no bearing on § 1957(f)(1) and indeed supports the conclusion that such proceeds have been statutorily exemptedfrom criminal penalties. [read post]
26 Oct 2009, 5:42 am
The Government argues that the exemption in § 1957(f)(1) has been "nullified" or "vitiated" because, shortly after the provision was enacted, the Supreme Court held in Caplin & Drysdale, Chartered v. [read post]
5 Oct 2009, 3:00 pm
David Rosenbloom (Director, NYU International Tax Program; Partner, Caplin & Drysdale) presents International Tax Arbitrage at UConn today as part of its Tax Lecture Series: There is no general U.S. rule or policy relating to cross-border tax arbitrage. [read post]
14 Sep 2009, 2:24 pm
Issue: Whether a trustee has standing to assert claims "on behalf of debenture holders" under Caplin v. [read post]
14 Aug 2009, 6:01 am
David Rosenbloom, a tax lawyer at Caplin & Drysdale who represents some American clients of UBS, told the NYT that $1 million was a â [read post]
15 Jul 2009, 9:15 pm
 Michel an an attorney at Caplin & Drysdale in Washington, D.C. [read post]
19 Jun 2009, 3:00 am
Here are the speakers: Christopher Bergin (President and Publisher, Tax Analysts) (Moderator) John Klotsche (Caplin & Drysdale) Armando Gomez (Skadden) Donald Rocen (Former Deputy Chief Counsel, IRS) A live webcast is... [read post]
11 May 2009, 5:38 pm
First, Lang explains that Marcus Owens of Caplin & Drysdale was retained to author the L3C legislation with the express instruction "to find a way to insure as best he knew how that the L3C legislation would make private letter rulings unnecessary" and that "[Owens] wrote the L3C legislation to dovetail with the federal IRS regulations relevant to [PRIs] by foundations. [read post]
6 May 2009, 2:00 pm
The Brennan Center Legal Series and its DC Steering Committee Members   Mortimer Caplin (Caplin & Drysdale), Edward Correia (Latham & Watkins), David Cynamon (Pillsbury Winthrop Shaw Pittman), Peter Edelman (Georgetown Law), Clifton Elgarten (Crowell & Moring), Pamela Gilbert (Cuneo Gilbert & LaDuca), Gail Harmon (Harmon, Curran, Spielberg & Eisenberg), Jim Johnson (Debevoise & Plimpton), James Joseph (Arnold &… [read post]