How Generative AI revolutionizes tax research, enhancing efficiency, accuracy, and speed in methodologies, summarization, and drafting
"The Rise of Generative AI in Tax Research," hosted by CEO Benjamin Alarie and Vice President of Legal Research, Susan Massey. They explored the revolutionary power of Generative AI in tax research.
ChatGPT produces an inaccurate result when computing the tax liability of a married couple.
The primary assumption of applying machine learning to tax law is that the law should be predictable and consistent. The impact of AI on tax law.
The Future of Tax. See how KPMG and Blue J are working together to support the work of tax practitioners everywhere. Learn more
Benjamin Alarie is among the Top 50 Changemakers 2022. Learn about his predictive platform, Blue J, that's transforming the practice of law.
Collaborate on diagrams and tax research with Blue J Tax. Share your work, request reviews, and allow others to edit - in one platform.
Download the Tax Advisory Industry Report 2022 to learn about key challenges, goals, and opportunities for growth for tax practices today.
In collaboration with Aird & Berlis LLP, Blue J Tax provides Place of Supply Predictions. Cut through the complexity with this new feature.
Learn how Raymond G. Adlington, Tax Partner at Miller Thomson creates complex step-transaction diagrams in minutes with Blue J Diagramming.
This tax analysis infographic highlights solutions for the 5 biggest tax analysis challenges new lawyers often face and how technology can help overcome them.
Lawyers are missing out on big billable hours across the board. Adopting the right tools can help but few are quick to adapt.
There are 4 competitive of advantages to AI in tax research and analysis. With AI you'll be able to provide better client service amidst changing laws.
Learn about the GST/HST implications of cryptocurrency transactions in Canada. Find out which transactions are exempt and how to determine their value.
The joint development of a first-of-its-kind suite of artificial intelligence (AI) tax analysis tools for the UK has been announced by KPMG UK and Blue J.
Certain organizations are exempt from federal income tax. However, pursuant to § 511 of the Internal Revenue Code (IRC), the resulting income is nonetheless
IRC § 66722 permits the government to impose the “Trust Fund Recovery Penalty” on persons other than those employers or businesses...
A guide to determining U.S. residency for clients, as there may be significant tax implications if they are found to be a resident alien. learn more
A guide on applying economic substance, an anti-abuse doctrine that analyzes suspect business transactions for a motive other than the obtaining of a tax...
Blue J, in partnership with the University of California, Irvine School of Law (UCI Law), integrates its Blue J Tax platform into UCI Law’s Graduate Tax...
Tax practitioners are often tasked with answering the threshold question of whether their foreign clients have carried on “a trade or business within the U.S.”
Determining the deductibility of a trade or business expense has consistently remained one of the top ten most litigated issues before the U.S. Tax Courts
the Internal Revenue Code (IRC) provides that certain sales or exchanges are not federally taxable events. One example is a § 368 corporate reorganization.
§ 6662 of the IRC imposes an ARP on persons who have underpaid their income tax as a result of certain enumerated circumstances including, but not limited to...
The R&D credit is a valuable tax incentive, and businesses want to do whatever they can to increase their chances of qualifying for it.
U.S. residents are now required to report income earned by controlled foreign corporations, subject to various exclusions, including newly-enacted GILTI.
The accuracy-related penalty is likely to remain the most-litigated federal tax issue in light of the TCJA's recent changes to the IRC...
Economic substance remains a frequently litigated, complex issue. Machine learning can provide unparalleled insights and clarity into the law.
23% of large law firms surveyed in a recent report by Thomson Reuters said that they had lost expected client business to one of the Big Four.
Recent developments under the TCJA have resulted in increased risks of taxpayers incurring accuracy-related penalties. How can taxpayers prepare?
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