Tax Court Again Considers an IRC Section 831(b) Case and Rules in Favor of the Internal Revenue Service
Tax Court Again Considers an IRC Section 831(b) Case and Rules in Favor of the Internal Revenue Service
April 02, 2025
United States
United States
United States
Captive.com
In this Captive.com article, Eversheds Sutherland attorneys Saren Goldner and Bruce Wright review the Tax Court’s decision in Genie R. Jones, et al. v. Commissioner, T.C. Memo 2025–25, another case where a captive insurer electing under IRC §831(b) was found not to qualify as an insurance company for federal tax purposes.
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