The Tax Lawyer has published Vol. 63, No. 2 (Winter 2010):
- J. Ross Macdonald (Baker & McKenzie, New York), "Songs of Innocence and Experience": Changes to the Scope and Interpretation of the Permanent Establishment Article in U.S. Income Tax Treaties, 1950-2010, 63 Tax Law. 285 (2010)
- Martin J. McMahon, Jr. (Florida) & Daniel L. Simmons (UC-Davis), A Field Guide to Cancellation of Debt Income, 63 Tax Law. 415 (2010)
- David F. Shores (Wake Forest), Continuity of Business Enterprise: A Concept Whose Time Has Passed, 63 Tax Law. 471 (2010)
- Harvey Braverman (Washington, Seattle), Tax Risk to Noncontributing Shareholders from Disproportionate Capital Contributions: Red Herring or Elephant in the Room?, 63 Tax Law. 499 (2010)
- Peter A. Furci (Debevoise & Plimpton, New York), U.S. Trade or Business Implications of Distressed-Debt Investing, 63 Tax Law. 527 (2010)
- Britt Cass Steckman (J.D. 2010, Georgetown), Note, Interpreting a Visigothic Spanish Civil Law Tradition to Trump the Internal Revenue Code: Section 6015's Uneven Application in Community Property States, 63 Tax Law. 553 (2010)
- Cara M. Cotter (J.D. 2010, Georgetown), Note, Allnutt v. Commissioner: The Taxpayer's Responsibility, 63 Tax Law. 573 (2010)
- Elizabeth M. Fialkowski (J.D. 2010, Georgetown), Note, Defining Willfullness: The Role of the Defendant's Ability to Pay in United States v. Easterday, 63 Tax Law. 587 (2010)
- Daniel C. Sale (J.D. 2010, Georgetown), Note, Tenure Trap: Third Circuit Joins Sixth in Holding Tenure Buy-out Payments Subject to FICA Taxation in University of Pittsburgh v. United States, 63 Tax Law. 603 (2010)
- Hayley T. J. Tozeski (J.D. 2010, Georgetown), Note, Tax Evasion—To Convict or Collect? Can the Government Have It Both Ways Under the Expanded Definition of "With Respect to Stock" in Section 301 After Boulware v. United States?, 63 Tax Law. 621 (2010)




