Posted by: jkalinski | May 26, 2026

Jonathan Kalinski Quoted in Cannabis Business Times

The Department of Justice rescheduled state licensed medical cannabis from Schedule I to Schedule III. The order also established a registration system. This change raises many questions, including tax and especially the application of IRC sec. 280E. Principal Jonathan Kalinski collaborated with former AUSA and current Professor Julie Werner-Simon on a featured article in the Cannabis Business Times that covers what cannabis businesses and practitioners need to know.

Jonathan Kalinski is a Principal of the law firm of Hochman Salkin Toscher Perez P.C. whose practice focuses on litigating both civil and criminal tax controversies as well as sensitive tax matters including disclosures of previously undeclared interests in foreign financial accounts and assets and provides tax advice to taxpayers and their advisors throughout the world. Jonathan also handles all California tax controversies including FTB, EDD, and CDTFA.

Mr. Kalinski handles both Federal and state tax matters involving individuals, corporations, partnerships, limited liability companies, and trusts and estates. Mr. Kalinski is a California Lawyers Association Taxation Section Executive Committee Member and an ABA Loretta Collins Argrett Fellowship Mentor. 

For more information, please contact Jonathan Kalinski at kalinski@taxlitigator.com


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