For 40 years, Chevron deference has been the guiding standard for judicial review of agency rules and regulations. In Loper Bright Enterprises v. Raimondo, the Supreme Court overturned Chevron. The implications of Loper are both far-reaching and unclear. What is the new standard for judicial review? How does a specific delegation of authority to an agency impact that review? What impact, if any, does the Loper decision have on cases previously decided under Chevron? What are some possible knock-on effects of this decision? What actions should taxpayers be taking now in light of Loper?
Join us as our co-hosts Kristen Gamboa and Gary Scanlon welcome Ron Dabrowski and Hans Gerling to Inside International Tax in order answer these questions (and more).
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