Tax Disputes Belong in the Tax Court: High Court Reaffirms Limits of Section 105

Tax Disputes Belong in the Tax Court: High Court Reaffirms Limits of Section 105

The High Court confirms that tax disputes – including understatement-penalty assessments under sections 222 and 223 of the TAA – must follow the Chapter 9 objection-and-appeal process. No automatic access to the High Court exists without a section 105 direction.

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