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Tax Litigation Survey | Surveying Recent Tax Decisions | taxlitigationsurvey.com Reviews
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Surveying Recent Tax Decisions
Robert Nadler
http://procedurallytaxing.com/tag/robert-nadler
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. Spousal Abuse Continues to Provide a Powerful Basis for Innocent Spouse Relief. August 12, 2015. Today we welcome back guest blogger Robert Nadler. After retiring from the Office of Chief Counsel, IRS Bob has worked continuously for the Legal Aid Society of Middle Tennessee and the Cumberlands. Bob wrote the book. And we are delighted to share his insights on a recent Tax Court decision. The IRS ...
The Room of Lies
http://procedurallytaxing.com/the-room-of-lies
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. The Room of Lies. August 6, 2015. I am enjoying reading and watching The Game of Thrones. I have reached the point in the show. In which Arya Stark enters the House of Black and White. Recently, I wrote. While Chief Counsel’s office worked on its recommendation concern an appeal of the adverse decision, the Department of Justice was working as well. In the next post about the Room of Lies, we...
Ninth Circuit Reverses Tax Court on Qualified Offer Case and Holds That a Concession is not a Settlement
http://procedurallytaxing.com/ninth-circuit-reverses-tax-court-on-qualified-offer-case-and-holds-that-a-concession-is-not-a-settlement
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. Ninth Circuit Reverses Tax Court on Qualified Offer Case and Holds That a Concession is not a Settlement. August 11, 2015. Case decided last month, the Ninth Circuit reversed the Tax Court. The Knudsen issue concerns a loophole to the application of the qualified offer provisions the IRS tried to create in this case and others (see also Estate of Lippitz. And Angle v. Comm’r. Actually obtaining a...
Tenth Circuit Ups the Ante on Late Filed Returns
http://procedurallytaxing.com/tenth-circuit-ups-the-ante-on-late-filed-returns
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. Tenth Circuit Ups the Ante on Late Filed Returns. January 12, 2015. Like a virus jumping from one species to another. Circuit decision in Mallo v. United States. Has moved the issue of the discharge of late filed returns from a state to a federal issue. Because of the unforgiving nature of the position adopted by the 10. I wrote about this issue in a post. Into this scheme comes Mr. Hindenlang.
The Room of Lies Part 2
http://procedurallytaxing.com/the-room-of-lies-part-2
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. The Room of Lies Part 2. August 7, 2015. If everyone recommends against appeal, the case stops. If one or more parties recommends for appeal and others recommend against appeal, the parties may decide to hold a conference in order to discuss the case and come to a resolution. The decision to appeal does not come up for a vote at the meeting. The decision belongs to the Assistant Attorney Gene...
Leslie Book
http://procedurallytaxing.com/author/lesliebook
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. Professor Book is a Professor of Law at the Villanova University School of Law. NTA Releases Mid-Year Report. August 29, 2016. An overview of the IRS’s 2016 filing season performance. And selected areas of focus. Including FATCA, private debt collection, EITC compliance, identity theft assistance procedures, and levies on retirement accounts. People who work in the field of tax administration and...
Summary Opinions for 12/19/14 to 1/05/15
http://procedurallytaxing.com/summary-opinions-for-121914-to-10515
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. Summary Opinions for 12/19/14 to 1/05/15. January 20, 2015. Back in the saddle after quite a few weeks off. Holidays, home renovations, and the passing of my maternal grandfather (phenomenal guy, who will be incredibly missed by everyone who knew him) took priority over blogging. SumOp isn’t usually that time sensitive though, so we can pack three weeks into one post. In early December had a bank...
Stephen Olsen
http://procedurallytaxing.com/author/stephenolsen
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. Stephen J. Olsen’s practice includes tax planning and controversy matters for individuals, businesses and exempt entities for the law firm Gawthrop Greenwood, PC. Loading Installment Agreements — Comments. August 23, 2016. Occasionally, we write a post that seems to touch a nerve with our readers, and today’s post. Here are the comments as of 2:30PM EST on August 23rd. August 23, 2016 at 12:12 pm.
Summary Opinions for June
http://procedurallytaxing.com/summary-opinions-for-june
Subscribe to our Blog. Enter your email address to subscribe and receive notifications of new posts by email. Summary Opinions for June. August 5, 2015. Before covering the June tax procedure items we didn’t otherwise write on, I wanted to highlight that Keith was quoted in a Seattle Times’ article. Where he discusses Senator Hatch’s letter to the Commissioner questioning the use of an outside law firm on audits. Agostino and Associates has published its July Monthly Journal of Tax Controversy. Another c...
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TAX CONTROVERSIES AND LITIGATION LAWYER. Toll Free (877) 895-2950. Irvine, Orange Country, California. How To Deal With IRS. Final Notice of Intent to Levy-How To Stop IRS From Levy. How To Challenge An IRS Audit. IRS Trust Fund Recovery Penalty. IRS Offer In Compromise. IRS Collection Due Process Rights. IRS Levy Defense And Release. IRS Lien Release Or Subordination. IRS Unfiled Tax Returns. Real Estate Professional Audits. Federal Criminal Tax Representation. Federal Court Tax Litigation.
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Taxs news and advises. Commentaires fermés sur Assessment Based on Net Worth. Assessment Based on Net Worth. The Canada Revenue Agency sometimes uses a basis of accounting known as. To assess, calculate and issue assessments against certain taxpayers. The net worth basis of accounting consists of determining the amounts a taxpayer would have omitted to report, by proceeding with an analysis of his assets, year after year. Commentaires fermés sur Tax Court of Canada. Tax Court of Canada. In case of Tax ev...
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Mirch Law Firm LLP | San Diego, CA - (619) 501-6220
Mirch Law Firm LLP. HANDLING CASES IN BOTH CALIFORNIA and NEVADA. At Mirch Law Firm, we specialize in all types of business law. We have presented cases involving both contract and partnership disputes. Mirch Law Firm can help you with all types of tax litigation. We understand how scared and anxious you may feel while dealing with tax issues. The Financial Industry Regulatory Authority (FINRA) oversees the disputes that occur between security firms and their customers if the client thinks. Negative info...
Tax Litigation Survey | Surveying Recent Tax Decisions
Surveying Recent Tax Decisions. February 3, 2015. I’m glad that you have enjoyed Tax Litigation Survey. We are currently taking a break from tax blogging to focus on other pursuits and projects. We may return to the tax blogging in the future. Read more →. February 3, 2015. I’m glad that you have enjoyed Tax Litigation Survey. It is temporarily unavailable. It may return in the future. Read more →. Magazine Basic created by c.bavota.
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Tax Controversy (Civil & Criminal) Report | The difficult will be done immediately, the impossible will take a little more time . . .
Tax Controversy (Civil and Criminal) Report. The difficult will be done immediately, the impossible will take a little more time . . . Posted by: Taxlitigator.com. August 9, 2015. Medical Marijuana and the IRS by JONATHAN KALINISKI. Generally, businesses can deduct ordinary and necessary business expenses under I.R.C. 162. This includes wages, rent, supplies, etc. In 1982, however, in response to a defeat in Edmondson v. Commission [1]. Olive v. Commissioner. For more information please contact Jonathan ...
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