Insights

Section 1001 False Statements

The Tax Court in Brief July 6– July 10

The IRS Assures Congress: Aggressive Enforcement Efforts Are Ahead

Bankruptcy Court Power to Determine Tax Liability

IRS Targets Conservation Easements, Offers New Settlement Initiative

The Court Finds Rescission Doctrine Inapplicable on Complex ESOP Arrangement

The IRS and Fraud Penalties: Recent Case Addresses the Approval Requirement

The Tax Court in Brief June 29 – July 3, 2020

IRS Intends To Audit More High-Wealth Taxpayers

Court Strikes Down Largest Non-Willful FBAR Penalty Ever

Recent Texas Comptroller Private Letter Rulings of Note

A Primer on Employment and Self-Employment Taxes

Bankruptcy Court Jurisdiction

Another Attack on Conservation Easements

Court Denies Conservation Easement Charitable Deduction

The Tax Court in Brief June 22 – 26, 2020

Preferential Transfers

Foreign Accounts and FBAR Penalties