Under federal tax law, certain entities must file IRS Form 5472 to report specified transactions with related parties. To ensure compliance with this information return reporting obligation, Congress allows the IRS to impose...
The IRS Acts on the ERC Two-Year Deadline – Is It Enough?
Last month, I wrote an article encouraging employers to secure tax litigation counsel sooner rather than later if they might need to file a lawsuit to obtain Employee Retention Credits (“ERCs”). That article can...
We are proud to announce 18 firm lawyers have been recognized as 2026 Best Lawyers in Dallas by D Magazine. Attorneys selected as D Magazine Best Lawyers are peer-nominated on the basis that they offer unparalleled counsel in...
A recent decision from the 15th Court of Appeals in Texas could provide a windfall for entities engaged in providing airline transportation services. In a case involving American Airlines, Inc. (“American...
Josh Ungerman was quoted in a Wall Street Journal Article “America’s New Tax Mantra: ‘The IRS Isn’t Going to Catch Me'”
In Richard Rubin’s recent Wall Street Journal article “America’s New Tax Mantra: ‘The IRS Isn’t Going to Catch Me‘,” firm partner Josh O. Ungerman provides insight into the practical...