Correction to APA Non-Compliance | IRS Issues Proposed Regulations for Syndicated Conservation Easements

Conservation Easements and Retained Mineral Interests

Conservation Deeds and Consistency with Treasury Regulations

Syndicated Conservation Easements | National News Coverage and IRS Scrutiny Continues

Tax Court in Brief | Oxbow Bend, LLC v. Comm’r | Conservation Easement and “Initial Determination” of Penalties

Tax Court in Brief | Pickens Decorative Stone, LLC v. Comm’r | Syndicated Conservation Easement and “In Perpetuity”

Syndicated Conservation Easements (and Other Tax Schemes) Beware

The Art of an IRS APA Defense: Conservation Easements and Hewitt

The Recent Tax Court Conservation Easement Decision Demonstrates Continued IRS Enforcement Efforts and Penalty Defenses

The Recent IRS Memo Supports Use of Summonses for Syndicated Conservation Easement Transactions

IRS Fraud Penalties, TEFRA, and Conservation Easements

IRS Attorneys Issue Guidance for Imposing Civil Fraud Penalties on Syndicated Conservation Easement Transactions

Settling Conservation Easement Penalties: The IRS And Some New Insights

Conservation Easement Deductions: A Primer on Key Provisions

Charitable Conservation Easements Remain Under Attack—The Latest IRS Data

Senate Finance Committee Releases Conservation Easement Data

Senate Releases Report on Syndicated Conservation Easements

A Pair of Conservation Easement Deduction Cases From the Tax Court Reflect Continued IRS Attack