The End of 280E? IRS Enforcement, Transition Rules, and What Attorneys Must Know

The End of 280E? IRS Enforcement, Transition Rules, and What Attorneys Must Know

$45

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The End of 280E? IRS Enforcement, Transition Rules, and What Attorneys Must Know
About the Program

As the federal government moves toward rescheduling cannabis from Schedule I to Schedule III, tax practitioners face a shifting landscape with major implications for § 280E. This session will outline what rescheduling changes—and what it leaves unresolved—while addressing key transition issues, IRS enforcement trends, and the practical tax considerations operators and advisors should prepare for. Attendees will leave with a clear, current understanding of federal cannabis tax developments and the challenges ahead.

Speaker(s)
Jonathan Kalinski

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Hochman Salkin Toscher Perez P.C.

Jonathan Kalinski specializes in both civil and criminal tax controversies as well as sensitive tax matters including disclosures of previously undeclared interests in foreign financial accounts and assets and provides tax advice to taxpayers and their advisors throughout the world.  He handles both Federal and state tax matters involving individuals, corporations, partnerships, limited liability companies, and trusts and estates.

Mr. Kalinski has considerable experience handling complex civil tax examinations, administrative appeals, and tax collection matters.  Prior to joining the firm, he served as a trial attorney with the IRS Office of Chief Counsel litigating Tax Court cases and advising Revenue Agents and Revenue Officers on a variety of complex tax matters.  Jonathan Kalinski also previously served as an Attorney-Adviser to the Honorable Juan F. Vasquez of the United States Tax Court.

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Accreditation
Credit Hours:
1.00
Specialty Area:
Taxation Law
Credit Type:
General
Original Air Date:
March 3, 2026
Accredited in:
California
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