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Has the Supreme Court's opinion overturning the Chevron doctrine altered the landscape for the denial of tax deductions for marijuana businesses under Section 280E of the Internal Revenue Code? Here to explore that question are corporate and tax attorney Douglas Charnas and Perry Salzhauer, co-chair of McGlinchey's Cannabis Industry group.
By McGlinchey Stafford5
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Has the Supreme Court's opinion overturning the Chevron doctrine altered the landscape for the denial of tax deductions for marijuana businesses under Section 280E of the Internal Revenue Code? Here to explore that question are corporate and tax attorney Douglas Charnas and Perry Salzhauer, co-chair of McGlinchey's Cannabis Industry group.

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