The Tax Implications of the Moore and Loper Bright Cases

The Tax Implications of the Moore and Loper Bright Cases

Discover a unique analysis of the Moore & Loper Bright Cases relating to US tax.

Show notes

Joe Pari, co-chair of Weil, Gotshal & Manges LLP’s tax department, and Devon Bodoh, head of Weil’s international and cross-border tax practice provide a fascinating view of two cases in US law, Moore v United States and Loper Bright Enterprises v Raimondo, discussing their impact on tax across the country.

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Joe Pari

Joe Pari

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