2 research outputs found

    Granting Chevron Deference to IRS Revenue Rulings: The Charitable Thing to Do

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    The article focuses on the applicability of the standards of deference provided by the Chevron U.S.A. v. Natural Resources Defense Council, Inc. court case to U.S. Internal Revenue Service revenue rulings, and includes problems arising out of United States v. Mead Corp. court case
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