Tax·Luxury

Part VII · Reference · No. 02

The primary sources

A catalogue of the statutes, regulations, agency publications, and judicial decisions on which this site rests. Where a stable official URL exists, it appears; secondary repositories are noted but never substituted for the original text.

This page lists primary materials. A primary source — for these purposes — is the text whose words are the law: the statute as enacted, the regulation as promulgated, the agency notice as published, the decision as issued by the deciding tribunal. Treatises, practitioner guides, and news accounts are not primary, and they do not appear here.

The listing is selective. It catalogues the materials most often cited across this reference, organized by jurisdiction and type. For any given entry on the site, the citation block at the foot of the page is the operative list of sources for that topic; this page is a master directory.

United States — federal statutes

The Internal Revenue Code

Title 26 of the United States Code. The consolidated statute reorganized by the Internal Revenue Code of 1986 and amended annually. Recurring sections cited across this site:

Authoritative text: law.cornell.edu/uscode/text/26. The IRS reproduces the Code at irs.gov.

The Bank Secrecy Act and AML statutes

Customs and trade

United States — Treasury regulations and IRS guidance

The Treasury Regulations appear at Title 26 of the Code of Federal Regulations. Subregulatory guidance is issued in several formats, ranked here by weight:

  1. Treasury Regulations — promulgated through notice-and-comment, with the force of law within their delegated scope.
  2. Revenue Rulings — published IRS positions applying the Code to specific factual situations; binding on the IRS, persuasive in court.
  3. Revenue Procedures — published IRS procedural positions.
  4. Notices and Announcements — interim guidance, often pending regulations.
  5. Private Letter Rulings, Technical Advice Memoranda, Chief Counsel Advice — taxpayer-specific or internal; cannot be cited as precedent under §6110(k)(3), but read closely by practitioners.

Index: irs.gov; Internal Revenue Bulletin: irs.gov/irb.

Recurring IRS publications and forms

United States — judicial decisions

U.S. Tax Court

The principal forum for pre-payment income, estate, and gift tax disputes. Opinions appear as Tax Court of the United States Reports (T.C.) for regular opinions and as Memorandum opinions (T.C. Memo.). Searchable opinions: ustaxcourt.gov.

Recurring decisions in luxury-asset practice include those addressing yacht and aircraft hobby-loss and material-participation issues, charitable-deduction valuation, fractional-interest discounts on art, and pilot- and crew-related deductions. Listings of selected decisions appear within the individual entries on this site, including notable art tax cases and aircraft personal-use audits.

U.S. Courts of Appeals and the Supreme Court

Appellate review proceeds from the Tax Court to the appropriate regional circuit. Estate-tax decisions of broad significance — including those on family-limited-partnership valuation discounts and on charitable-remainder valuation — have come principally from the Eighth, Ninth, and Federal Circuits. The Supreme Court rarely takes pure tax cases; when it does, the holdings are foundational (Commissioner v. Glenshaw Glass, Welch v. Helvering, Frank Lyon Co. v. United States).

U.S. District Courts and the Court of Federal Claims

Refund actions are tried in either the district court for the taxpayer's residence (with jury) or in the Court of Federal Claims (bench). Customs valuation and import-tariff disputes appear in the Court of International Trade.

United States — state authorities

State revenue codes vary widely. Where this site discusses a state regime — Delaware's franchise tax treatment of holding LLCs, Montana's absence of sales tax on motor-vehicle and aircraft transfers, Florida's homestead and limited domicile claim — the underlying source is the codified state statute and the published guidance of the state department of revenue. State-by-state catalogues appear within the jurisdiction pages: Delaware, Montana, South Dakota, Nevada, Florida.

International — treaty and model instruments

Foreign primary materials

Each jurisdiction page identifies its principal statute and the agency responsible for administration. Recurring foreign sources:

How citations appear on this site

Within an entry, statutes are cited in short form (§408(m), §1031) on first and subsequent mention, with the title of the section identified once. Cases are cited the first time in full with the reporter citation and italics for the case name; thereafter by short name. Regulations are cited as Treas. Reg. §1.x-y. IRS guidance is cited by document number (Rev. Rul. YYYY-NN; Notice YYYY-NN). Foreign statutes are cited with the official short title and article number.

Where a primary-source URL is known to be stable, it appears as an inline link. Where a URL is uncertain, the citation appears in text form and the reader is left to consult the primary repository (IRS.gov, the official reporter, the relevant foreign authority's site).

Master References

  1. U.S. Code, Title 26 (Internal Revenue Code) — law.cornell.edu/uscode/text/26.
  2. Code of Federal Regulations, Title 26 (Treasury Regulations).
  3. Internal Revenue Bulletin — irs.gov/irb.
  4. U.S. Tax Court opinions — ustaxcourt.gov.
  5. FinCEN — fincen.gov.
  6. OECD Tax — oecd.org/tax.
  7. HMRC — gov.uk/government/organisations/hm-revenue-customs.
  8. U.S. International Trade Commission, HTS — hts.usitc.gov.

Reviewed May 2026