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ABA Tax Section 2024 May Meeting

The ABA Tax Section held its 2024 May Tax Meeting (program) last Thursday-Saturday. A highlight was Friday's Teaching Taxation program on Taxing Litigation Finance:

ABA Tax Section 2024 May MeetingThird-party litigation funding has rapidly grown in recent years. Policy discussion on the proper tax treatment of the parties involved, however, has fallen by the wayside. The problem is acute in classifying litigation financing contracts as nonrecourse loans, immediate sales, or variable prepaid forward contracts, all of which have a discrete impact on the parties’ timing and character of income. Nonetheless, tax authorities have chosen to remain silent on this topic, except for an unhelpful IRS memorandum released in 2015. The U.S. Tax Court’s 2020 decision in Novoselsky v. Commissioner (T.C. Memo. 2020-68, May 28, 2020), the first modern reported case to directly address the tax treatment of a litigation finance contract, has not resolved taxpayer uncertainty. This panel will examine various tax issues in consumer and commercial litigation finance, including preferred tax position by the beneficiaries (lawyers and litigants) and the funders, and the character and timing of income. The panel will also discuss the Novoselsky case, the use of forward contracts, potential compliance issues, and the areas of uncertainty.

  • Young Ran (Christine) Kim (Cardozo; Google Scholar) (moderator)
  • Mark Leeds (Mayer Brown, New York)
  • Eric Schuller (The Alliance for Responsible Consumer Legal Funding)
  • Matthew Stevens (EY, Washington, D.C.)
  • Mohamed Sweify (Hinshaw & Culbertson, New York)

Other Tax Profs with speaking roles included:

  • Does the Civil Rights Act of 1866 Prevent Charities from Advancing Civil Rights?: Roger Colinvaux (Catholic University) 
  • Important Developments: Jessica Harris (American)
  • The Inequality of Tax Cuts: A Discussion on the Effects of Tax Policy on Wealth Redistribution: Bridget Crawford (Pace; Google Scholar), Anthony Infanti (Pittsburgh; Google Scholar), Goldburn Maynard (Indiana-Kelley; Google Scholar), Phyllis Taite (Oklahoma) 
  • LITCs, Pro Bono, and Calendar Call Programs in the Tax Court: Where We Have Been: Nancy Abramowitz (American), Keith Fogg (Harvard), Caleb Smith (Minnesota)
  • Math Error: Amy Spivey (UC-San Francisco) 
  • Policy Implications of Recent Proposals to Divvy up the Tax Base: Lilian Faulhaber (Georgetown; Google Scholar), Annette Nellen (San Jose State; Google Scholar
  • Shaken, Not Stirred: The Role of Agency in U.S. International Taxation: Alan Appel (New York Law School) 
  • The Tax Court’s Collections Jurisprudence: Bryan Camp (Texas Tech; Google Scholar)
  • Taxation's Role in Saving the Climate: Roberta Mann (Oregon) 
  • Unlocking the Synergy of Tax, DEI, and ESG: Roberta Mann (Oregon) 
  • Without Which It is Not: Why Implementing DEI is a Sine Qua Non in the Legal Profession Today: Anthony Infanti (Pittsburgh; Google Scholar)

Bloomberg coverage of the meeting:


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