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Article March 25, 2026
Saul Mezei and John Craig Write About Israel Tax Authority for Tax Notes
Writing for Tax Notes, partner Saul Mezei and of counsel John Craig analyze the Israel Tax Authority’s practice of inferring taxable intangible-property transfers from post-acquisition changes in the target’s functions, assets, and risks.
Accolades December 8, 2025
Gibson Dunn Ranked in ITR World Tax USA 2026
World Tax, the International Tax Review’s annual guide to the world’s leading tax advisory practices, has recognized Gibson Dunn in four categories in the 2026 edition of its USA guide.
Article October 29, 2025
Gibson Dunn Partners Discuss Platform Contributions to Cost-Sharing Arrangements in Bloomberg Tax Article
In their article for Bloomberg Tax, partners Saul Mezei and Terrell Ussing note that “Taxpayers with cost-sharing arrangements must accept the lingering uncertainty” surrounding use of the acquisition price method “and anticipate that the IRS will continue to scrutinize platform contribution transaction payments when folding in acquisitions to existing cost-sharing arrangements.”
Client Alert October 3, 2025
Eighth Circuit Holds That IRS May Not Tax A Domestic Parent Company On Royalties It Could Not Legally Receive From A Foreign Subsidiary
On October 1, the United States Court of Appeals for the Eighth Circuit rejected the IRS’s longstanding position that it may reallocate as taxable “income” royalties from a foreign subsidiary to its domestic parent company, even when foreign law legally prohibits the subsidiary from actually remitting those royalties.
Accolades June 11, 2025
Gibson Dunn Ranked in 2025 U.S. Legal 500
Gibson Dunn earned 60 practice area rankings, including 17 top-tier rankings, in the 2025 edition of The Legal 500 – United States
Article May 22, 2025
Gibson Dunn Lawyers Author USA Chapter of Lexology Panoramic’s Tax Controversy 2025 Guide
Partners Sanford Stark, Saul Mezei, and Terrell Ussing and associate Nicole Butze are the authors of the USA chapter of Lexology Panoramic’s Tax Controversy 2025 guide, which addresses key tax enforcement and controversy issues as well as recent developments and trends.
Accolades May 20, 2025
Eleven Gibson Dunn Partners Recognized in Inaugural Lawdragon Guide to 500 Leading Global Tax Lawyers
Eleven Gibson Dunn partners have been recognized by Lawdragon in its inaugural guide to the 500 Leading Global Tax Lawyers: the “titans” of tax law who work on M&A and other complex transactions, handle tax disputes and litigation (including criminal matters), and specialize in family offices and private wealth
Publications May 19, 2025
Gibson Dunn Lawyers Author USA Chapter of Chambers Tax Controversy 2025 Practice Guide
Partners Saul Mezei, Sanford W. Stark, and C. Terrell Ussing and associate Nicole Butze have authored the USA chapter of the Chambers Tax Controversy 2025 Practice Guide, which addresses a range of tax controversy issues and trends
