| The Tax Lawyer
endeavors to provide scholarly articles and student notes
and comments on topics pertaining to taxation and other
information that it believes to be of professional interest
to members of the Section of Taxation of the American
Bar Association and other readers.
The Tax Lawyer
welcomes the submission of articles written by admitted
members of the bar and by other professionals. Manuscripts
by candidates for graduate degrees in law (e.g., LL.M.
or M.L.T.) will be considered only if the author is
admitted to the bar at the time of submission.
Although utmost care will be given to material submitted, The
Tax Lawyer does not accept responsibility for
unsolicited manuscripts. Articles should be submitted as e-mail attachments must be formatted
in MS Word. Please use standard formatting and fonts.
E-mail submissions should be sent to: Assistant Staff
Director, Publications, at taxweb@staff.abanet.org.
Please refer to "The Tax Lawyer" in the subject
line of the e-mail message.
The Editorial Board of The
Tax Lawyer reserves the right to accept or reject
any article, note or comment and the right to condition
acceptance upon revision of material to conform to its
criteria. The
Tax Lawyer does not publish material that has
been previously published or is scheduled for publication
elsewhere. Articles, notes and comments are accepted
on the basis of merit, professional interest, appeal
to the readership of The
Tax Lawyer, timeliness of the topic, clarity
of expression, and style. Notes and comments should
consist of either analysis of recent developments in
tax law or comments on important current tax cases.
Because issues of tax law and policy are frequently controversial,
readers of The
Tax Lawyer should understand that opinions expressed
in its articles, notes and comments are solely those
of the authors and may differ from those of the American
Bar Association, the Section of Taxation, the Editorial
Board of The Tax
Lawyer, and the Student Editorial Board of The
Tax Lawyer. An article contributed by a public
official does not necessarily represent the views of
that persons department or agency unless expressly
stated in the particular instance. Nothing herein shall
be construed as representing the opinions, views, or
actions of the American Bar Association or of the Section
of Taxation unless duly approved by the Association
or the Section as the case may be.
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