The Tax Law Center at NYU Law seeks to protect and strengthen the tax system through rigorous, high-impact legal work in the public interest.
The legal choices that shape the tax system can be complex and opaque for people who are not tax experts, but they can have profound impacts, including on how much revenue the tax system raises and who pays tax. Private interests often invest heavily in shaping these choices. The Tax Law Center aims to be a strong public interest voice weighing in on these technical yet consequential tax law issues. To do so, the Center provides technical input on tax legislation, comments on tax regulations, and submits amicus briefs in tax litigation, with the aim of improving the integrity of the tax system, saving and raising revenues, and advancing equity.
The “Tealbook”: Options to Broaden the US Tax Base
A raft of tax loopholes and preferential treatments totaling $1.5 trillion shrink the tax base, lose revenues, and attract tax avoidance and evasion instead of productive investment. With a major year for tax policy looming in 2025, the Tax Law Center aims to deepen the conversation by providing detailed options for potential changes that go beyond simply ending, extending, or modifying the provisions of the 2017 tax law. Our new online tool allows users to learn about current holes in the tax system, filter policy options by topic, and find links to information and analysis including revenue estimates where available.
Moore v. United States at the Supreme Court
The Tax Law Center is providing resources to help readers understand the Supreme Court case with the potential to dismantle or unsettle broad swaths of the tax code.
- New Tax Law Center analysis following oral argument
- NYU Law Forum event (video recording to come): Chye-Ching Huang and other experts discussed the legal, economic, and ethical issues the Moore case presents.
- TLC’s amicus brief, co-authored with Professors Ari Glogower, David Kamin, Rebecca Kysar, and Darien Shanske
Tax Law Center's Blog
Treasury and the IRS issue important new guidance regarding direct pay for clean energy credits
March 11, 2024
The Clean Hydrogen Tax Credit: Why Induced Emissions Must be Considered
February 28, 2024
How Treasury and the IRS have the authority to eliminate a little-known tax subsidy for executives’ personal use of corporate jets
February 22, 2024
Recent Work
Amicus Brief on National Small Business United et al. v. U.S. Department of the Treasury
April 22, 2024
Who Speaks Up about the Tax Regulatory Agenda?
March 25, 2024
Chye-Ching Huang and Emily Shi
Supplemental Comment on Proposed 45V Regulations
April 2, 2024
Taylor Cranor, Kyle Sweeney, Chye-Ching Huang, and Mike Kaercher
Press Highlights
April 22, 2024
Congress Can Enact Corp. Transparency, Orgs Tell 11th Circ.
Law360 (Subscription required)
Mentioned: The Tax Law Center’s amicus brief on National Small Business United et al. v. U.S. Department of the Treasury
March 27, 2024
Inside Government Crackdown on Corporate Jet Tax Abuse
Bloomberg Tax: Talking Tax Podcast
Interviewed: Mike Kaercher
March 25, 2024
Who Speaks Up About the Tax Regulatory Agenda?
Tax Notes (Subscription required) (PDF available 4/8)
Authors: Chye-Ching Huang and Emily Shi
March 1, 2024
‘Huge tax breaks’: private equity prepares for a boon from Congress
The Guardian
Quoted: Chye-Ching Huang’s testimony