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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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March 15, 2022

Texas Comptroller Streamlines Process for Requesting Certificates of No Tax Due with Introduction of New Form... [ read ]
Beginning today, March 15, 2022, anyone requesting a Certificate of No Tax Due from the Texas Comptroller must now use Form 86-114 Joint Request for Certificate of No Tax Due to make the request. This is a change from the prior procedure, which allowed for informal requests by emailing very limited information to a dedicated Comptroller email address.

March 14, 2022

Supreme Court Asked to Weigh in on FBAR Penalty Circuit Split: Fifth or Ninth? Boyd or Bittner? Per Form or Per Account? Inquiring Minds Want to Know!!!... [ read ]
The Supreme Court passes on most of the cases it is invited to decide, but appellate court splits are often the key to a Supreme Court opinion. Following the 5th Circuit Court of Appeals holding in United States v. Bittner, there now exists a divide among the 5th Circuit and 9th Circuit in the determination of the penalty that can be levied by the IRS when a taxpayer non-willfully fails to report offshore accounts on an FBAR. Mr. Bittner has requested that the Supreme Court settle the circuit court dispute.

March 8, 2022

Meadows Collier March 2022 One-Hour Free Monthly Webinar... [ read ]

Mrch 4, 2022

Meadows Collier congratulates our two partners on their selection to D Magazine's "Hall of Fame"... [ read ]

March 2, 2022

What's Up in the World of Wealth Planning?... [ read ]

March 1, 2022

January Tax Decisions... [ read ]
This blog post summarizes a few noteworthy court decisions released in January 2022 that pertain to federal tax matters.

February 25, 2022

IRS Sends a Shot Across the Bow to Taxpayers With Grantor-Retained Annuity Trusts... [ read ]
An IRS legal memorandum involving a grantor-retained annuity trust (GRAT) released on December 30, 2021, should be a wake-up call to taxpayers and tax professionals. The memorandum blows up the taxpayer's GRAT by determining that the business asset held in the taxpayer's GRAT was egregiously undervalued allowing the IRS to disregard the GRAT and treat the entire transfer of assets to the trust as an outright gift. Not surprisingly, there are some unique and difficult facts regarding the GRAT and asset at issue, but it is a reminder of the importance of a good valuation and dotting all the I's and crossing all the T's when doing complex tax planning.

February 24, 2022

December Tax Decisions... [ read ]
This blog post summarizes a few noteworthy court decisions released in December 2021 that pertain to federal tax matters.

February 17, 2022

IRS Voluntary Disclosure Program Now Squarely Looks at Virtual Currency Issues and Provides Additional Clarity for Penalty Structure... [ read ]
On February 15, 2022, the IRS announced that it had changed its form (Form 14457) for making a voluntary disclosure with the IRS.