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Tune in for a discussion on motor fuels taxation dynamics and insight on a constitutional challenge to the federal oil spill liability tax.
The Fifth Circuit Court of Appeals and the U.S. Court of Federal Claims held that the blends of butane and gasoline would not be eligible for the alternative fuel mixture credit.
Tune in to this Weaver On-Chain podcast about how DAOs are emerging as new entity structures and their potential to shift business management and governance.
Taxpayers who are required to obtain a "G" registration under the reinstated Superfund Tax are impacted by recent IRS guidance on registration for certain Form 637.
On March 24, 2022, the Fifth Circuit Court of Appeals found the federal oil spill tax under IRC Section 4611(b) unconstitutional when imposed on exports of crude oil from the United States.
Tune in to this Weaver On-Chain podcast to learn about the benefits of bitcoin as well as blockchain technology and other digital assets.
Qualified small to medium-sized businesses that experienced a significant decline in revenues during the COVID-19 pandemic or were forced to partially or fully shut down due to a government order can still claim a refundable payroll tax credit to help soften the blow.
Join Weaver’s tax professional for a discussion and overview of motor fuels tax.
The Internal Revenue Services (IRS) issued an initial list of 101 chemicals subject to the recently reinstated Superfund excise tax under IRC Section 4661 and Section 4671.
On November 19, 2021, the U.S. House of Representatives passed the “Build Back Better Act” (BBBA), which includes an estimated $1.7 trillion in spending and an estimated $1.5 trillion in tax increases over 10 years.
The Infrastructure Investment and Jobs Act, which President Biden signed into law on November 15, 2021, reinstates Superfund excise taxes on the sale and import of certain chemicals as part of the law’s revenue raising provisions.
Join Weaver’s leading tax advisors for a tax reform update and year-end tax planning insights.