Partnerships are an enigma under federal tax law. Although the partnership files an annual income tax return (i.e., Form 1065), the partners report their allocable share of the partnership’s tax items on their income tax...
Firm Partner Matthew L. Roberts wrote an article in Law360, “Drawbacks For Taxpayers From Justices’ Levy Dispute Ruling”
In his latest article by Law360, “Drawbacks for Taxpayers From Justices’ Levy Dispute Ruling,” firm partner Matthew L. Roberts analyzes the Supreme Court’s recent decision in Commissioner v. Zuch, a...
Meadows Collier and Firm Lawyers Rank in Chambers and Partners 2025 USA Legal Directory
We are proud to announce the ranking of Meadows Collier and three partners in the Chambers and Partners 2025 U.S.A. Legal Directory, the most rigorous, independent, and in-depth researched legal directory. Chambers has ranked...
Taxpayer Advocate Convinces IRS to Remove Willfulness Requirement for Voluntary Disclosure Program
Cooler minds prevailed: The Taxpayer Advocate convinced the IRS to ‘undo’ a recent, highly criticized change to the Voluntary Disclosure Program that required the taxpayer’s admission of willfulness prior to...
Proof That Dotting the I’s and Crossing the T’s Keeps the IRS at Bay
I have given several presentations over the last few weeks to various professional groups about IRS procedures and representing clients in IRS controversies, including IRS examinations, appeals and litigation. In every...