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    Damon Rowe was quoted in an article in the International Consortium of Investigative Journalists on April 3, 2024...

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    Texas Bank and Trust - Longview, TX...

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    2023 Meadows Collier Annual VIRTUAL Tax Conference...

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    Meadows Collier Congratulates 14 Firm Lawyers on being named D Magazine's 2024 Best Lawyers...

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Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P.

901 Main Street, Suite 3700
Dallas, TX 75202

Phone: (214) 744-3700
Fax: (214) 747-3732
Toll Free: (800) 451-0093

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January 3, 2023

To Rule or Not to Rule: IRS Updates for 2023 its No-Ruling Lists for Private Letter Rulings... [ read ]
Should you need either 100% tax certainty or the IRS to fix a past mistake, a private letter ruling may be the answer for you. There are areas, however, where the IRS will not issue a ruling. And for 2023, those areas have now been defined.

December 29, 2022

SECURE 2.0: What You Need to Know... [ read ]
Just three short years after the passage of some of the most significant changes to the U.S. retirement saving and funding system in the form of the SECURE Act, Congress has passed "SECURE 2.0" as part of the recent spending package, the 2023 Consolidated Appropriations Act, with Division T covering SECURE 2.0, a Senate Finance Committee summary. The Omnibus Bill is expected to be signed into law by President Biden ahead of the December 30th government funding deadline.

December 28, 2022

Anthony Daddino was quoted in an article today by Kristen A. Parillo in Tax Notes.... [ read ]
Anthony Daddino was quoted today in an article by Kristen A. Parillo of "Tax Notes", "A Look Ahead: Tax Pros Seek Clarity on Limited Partner Exception." Anthony was interviewed regarding the pending Tax Court case, "Sorban Capital Partners LP v. Commissioner", proposing that the IRS will have a tough time arguing that the partners shouldn't be treated as limited partners.

December 19, 2022

The Hidden Dangers of Filing a Tax Court Petition, Part III... [ read ]
I've previously written two blog posts regarding the "hidden" dangers of filing a Tax Court petition. In both blog posts, I discussed taxpayers who received Notices of Deficiency, filed Tax Court petitions and were surprised by the IRS answer, wherein the IRS increased the stakes by proposing a 75% fraud penalty for the first time.

December 16, 2022

TXCPA CPE Expo - Dallas... [ read ]

December 16, 2022

Society of Louisiana CPAs' Tax Conference... [ read ]

December 13, 2022

ABA 39th Annual National Institute on Criminal Tax Fraud and Tax Controversy... [ read ]

December 13, 2022

TXCPA CPE Expo - San Antonio... [ read ]

December 7, 2022

TXCPA Dallas Member Appreciation CPE Series December 2022... [ read ]

December 6, 2022

TXCPA CPE Expo- Houston... [ read ]