The IRS failed to fully escape a legal challenge to a rule identifying some micro-captive insurance transactions as abusive after a federal judge in Texas allowed some claims to proceed.
The rule (RIN 1545-BQ44), published in January, highlights micro-captive arrangements where the participants attempt to reduce their income tax liability using purported insurance contracts with a related entity that lacks the necessary characteristics of bona fide insurance, like risk distribution.
Judge
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