Resources Archive
December 19. 2018
Payroll Tax Collection Audits Are Dangerous Ground Now...
[ read ]
Josh Ungerman was quoted in the article, Payroll Tax Collection Audits Are Dangerous Ground Now, 2018 TNT 242-7.
December 17, 2018
Goldin, Peiser & Peiser, LLP Seminar... [ read ]
December 14, 2018
2018 ABA 35th Annual National Institute on Criminal Tax Fraud and 8th Annual National Institute on Tax Controversy... [ read ]
December 14, 2018
2018 Louisiana Tax Conference... [ read ]
December 11, 2018
TSCPA 2018 CPE Expo - Houston... [ read ]
December 6, 2018
Tax Cheats Face Higher Penalty for Hiding Assets From IRS...
[ read ]
Josh Ungerman was quoted in the article, Siri Bulusu, Tax Cheats Face Higher Penalty for Hiding Assets From IRS, Issue 231, DTR (2018).
December 6, 2018
Palantir Deal May make IRS ‘Big Brother-ish' While Chasing Cheats...
[ read ]
Josh Ungerman was quoted in the article, Siri Bulusu, Palantir Deal May make IRS ‘Big Brother-ish' While Chasing Cheats, Issue No. 222, DTR (2018).
December 6, 2018
U.S. Could Reap Billions In Domestic Tax Evasion Fines...
[ read ]
Josh Ungerman was quoted in the article, Siri Bulusu, U.S. Could Reap Billions In Domestic Tax Evasion Fines, Issue No. 232, DTR (2018).
December 6, 2018
New Rules in the United States Tax Court...
[ read ]
The Tax Court has recently adopted amendments to its Rules of Practice and Procedure. These amendments come more than two years after the Tax Court proposed amendments to its rules to accommodate electronic filing of petitions and other documents. Pursuant to the new amendments to its rules, the Tax Court will soon allow electronic filing of Tax Court petitions and other documents. (The Tax Court will provide detailed information regarding the implementation of electronic filing on its website once the Tax Court is ready for electronic filing.) Under the new rules, if a Tax Court petition is filed electronically, an original signature is no longer required from the taxpayer or the taxpayer's representative.
December 4, 2018
IRS Revises Voluntary Disclosure Practice...
[ read ]
On November 20th, the IRS issued Memorandum LB&I-09-1118-014 updating the process for both domestic and foreign voluntary disclosures. The IRS voluntary disclosure program is found in section 9.5.11.9 of the Internal Revenue Manual and is a long standing practice of the IRS to provide taxpayers who have potential criminal exposure a means to come into compliance with the law and potentially avoid criminal prosecution. In a prior blog post , we discussed the basics of the IRS voluntary disclosure program.
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