The Art of an IRS APA Defense: Conservation Easements and Hewitt
By Administrative Procedure Act, Conservation Easement, Tax Court
Jan 10, 2022
Chapter 11 Bankruptcy Procedure and the Recent Case of Dondero v. Alvarez & Marsal CRF Management, LLC
By Bankruptcy
Jan 08, 2022
IRS Tax Exempt and Government Entities: A Summary of the Past Year
By Charitable Organization, Non-Profit
Jan 06, 2022
Document Retention for Engineering and Architecture Services Companies
By Corporate, Corporate Compliance
Jan 05, 2022
The Tax Court in Brief December 26, 2021 – January 1, 2022
By Tax Court, The-Tax-Court-in-Brief Insights
Jan 03, 2022
A Current “Playoff Picture” of Non-Willful FBAR Violations
By Cross-Border Tax Insights, FBAR, International Tax
Jan 03, 2022
ReDISCovering a Tax Classic: The Domestic International Sales Corporation
By Corporate, Cross-Border Tax Insights, International Tax
Jan 02, 2022
26 U.S.C. § 6672 | Failure to Collect and Pay Over Tax, or Attempt to Evade or Defeat Tax
By Trust Fund Penalty
Jan 02, 2022