About
Brian Moore focuses his practice on US and international tax matters. Read Brian Moore's full bio.
Six Takeaways: Utilization and Structuring for Section 45Q Carbon Capture Credits
Tax Court Holds That Form 870-AD Is Not a Binding Settlement Agreement
Tax Court Holds IRS Chief Counsel Attorneys May Make Initial Penalty Determination
IRC 45Q Credit Under IRS Scrutiny: Government Finds Majority of Carbon Oxide Credits Improperly Claimed
You Can Now Submit Your Letter Rulings and Determinations to the IRS Electronically
IRS Postpones Virtually All Deadlines Until July 15, 2020, in Response to COVID-19
Taxpayer Victory in an IRC Section 199 Contract Manufacturing Case
IRS Provides Some Relief from Tax Payment (But Not Filing) Deadlines Due to COVID-19
IRS Releases Initial Section 45Q Carbon Sequestration Credit Guidance
About
Brian Moore focuses his practice on US and international tax matters. Read Brian Moore's full bio.
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