{"id":2600709,"date":"2024-01-05T07:20:01","date_gmt":"2024-01-05T12:20:01","guid":{"rendered":"https:\/\/platoai.gbaglobal.org\/platowire\/an-informative-preview-of-post-280e-with-julie-herzog\/"},"modified":"2024-01-05T07:20:01","modified_gmt":"2024-01-05T12:20:01","slug":"an-informative-preview-of-post-280e-with-julie-herzog","status":"publish","type":"platowire","link":"https:\/\/platoai.gbaglobal.org\/platowire\/an-informative-preview-of-post-280e-with-julie-herzog\/","title":{"rendered":"An Informative Preview of Post-280E with Julie Herzog"},"content":{"rendered":"

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An Informative Preview of Post-280E with Julie Herzog<\/p>\n

The cannabis industry has been booming in recent years, with more and more states legalizing both medical and recreational use of the plant. However, despite this growth, cannabis businesses still face a significant hurdle when it comes to taxes. Section 280E of the Internal Revenue Code prohibits businesses that traffic in controlled substances from deducting ordinary business expenses, resulting in exorbitant tax bills for cannabis companies. But what does the future hold for this controversial provision? To shed some light on the topic, we spoke with Julie Herzog, a leading expert in cannabis tax law.<\/p>\n

Julie Herzog is a tax attorney and partner at a prominent law firm specializing in cannabis law. With years of experience in the field, she has become a go-to resource for cannabis businesses seeking guidance on tax-related matters. In our interview, she provided valuable insights into the potential changes that could occur with regards to Section 280E.<\/p>\n

According to Herzog, there is growing momentum to reform or repeal Section 280E. She explains that the provision was originally intended to target illegal drug traffickers, but it has inadvertently impacted legal cannabis businesses as well. As more states legalize cannabis, there is a push to level the playing field and allow these businesses to deduct ordinary business expenses like any other industry.<\/p>\n

One potential avenue for change is through federal legislation. Herzog notes that there have been several bills introduced in Congress that aim to address the issue of Section 280E. These bills propose various solutions, such as allowing cannabis businesses to deduct ordinary business expenses or creating a new tax code specifically for the industry. While it is difficult to predict the outcome of these legislative efforts, Herzog remains optimistic that change is on the horizon.<\/p>\n

Another potential avenue for change lies in the courts. Herzog explains that there have been several cases in recent years where cannabis businesses have challenged the constitutionality of Section 280E. These cases argue that the provision violates the Equal Protection Clause of the Constitution by treating cannabis businesses differently from other industries. While these challenges have not been successful thus far, Herzog believes that as more cases are brought forward, there is a greater chance of a favorable ruling.<\/p>\n

In addition to potential legislative and judicial changes, Herzog also highlights the importance of tax planning for cannabis businesses. She advises companies to work closely with experienced tax professionals who can help navigate the complexities of Section 280E. By carefully structuring their businesses and maximizing available deductions, cannabis companies can minimize their tax liabilities and improve their bottom line.<\/p>\n

Overall, Julie Herzog provides a comprehensive preview of what the future may hold for Section 280E. While the provision continues to pose challenges for cannabis businesses, there is growing momentum for reform or repeal. Whether through federal legislation or court challenges, it is clear that change is on the horizon. In the meantime, cannabis businesses must remain vigilant in their tax planning efforts to ensure they are maximizing deductions and minimizing their tax burden. With experts like Julie Herzog leading the way, the future looks promising for the cannabis industry.<\/p>\n