
Sign up to save your podcasts
Or


In the latest episode of Chambers Expert Focus Weil Tax Insight series, Devon Bodoh, head of international tax at Weil Gotshal & Manges, and tax partner Greg Featherman delve into the renewed relevance of Section 269 of the Internal Revenue Code – an infrequently used anti-abuse rule that the IRS is now actively applying in response to perceived tax avoidance schemes.
By Chambers and PartnersIn the latest episode of Chambers Expert Focus Weil Tax Insight series, Devon Bodoh, head of international tax at Weil Gotshal & Manges, and tax partner Greg Featherman delve into the renewed relevance of Section 269 of the Internal Revenue Code – an infrequently used anti-abuse rule that the IRS is now actively applying in response to perceived tax avoidance schemes.