Dern Reminds that Settlement Language is Important in Section 104(a)(2) Physical Injury Cases
Collins Reminds that Corrective Actions Alone do not Always Negate Willful FBAR Penalties
A Primer on the Employee Retention Credit (ERC)
IRS Tax Penalties and the Tax Professional Reliance Defense
Section 530 and IRS Employment Tax Audits: Worker Classification and Relief
You Received an IRS CP15 Notice (re: Form 3520 Penalty), What Now?
Ninth Circuit Opines on Section 6751(b) and its Application to Assessable Penalties
IRS Issues FBAR Reference Guide
Court Declares IRS Micro-Captive Notice 2016-66 Unlawful: What Taxpayers Should Do Now
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