Join us for an insightful webcast analyzing the Supreme Court’s landmark Loper Bright Enterprises v. Raimondo decision and its potential implications for tax-exempt organizations. This pivotal Supreme Court ruling overturned the long-standing Chevron deference doctrine, which had required courts to defer to administrative agencies’ reasonable interpretations of ambiguous statutes. With the Loper Bright-decision, the courts must now exercise independent judgment in interpreting federal statutes, significantly altering the landscape of administrative law, creating uncertainty. This shift empowers the judiciary to have the final say on statutory ambiguities, potentially reducing the influence of agency expertise in certain contexts and raises legal and operational obstacles for tax exempt organizations large and small.

This webcast promises to provide a tax-exempt organization-focused analysis of the decision, its legal ramifications, and practical impacts on the reliance of tax-exempt organizations on Treasury Regulations. Prepare yourself with insights and guidance tax-exempt organizations need by registering for this timely webcast covering the most concerning issues in the post-Chevron era!

Speakers:

  • Melissa L. Wiley, Partner, Lowenstein Sandler LLP
  • Carrie Garber Siegrist, Associate, Tax-Exempt Organizations, Goodwin Procter LLP

Time: 1:30-2:45 p.m. ET