New Jersey Law Journal | Analysis
By Michael A. Guariglia and Lawrence A. Sannicandro | March 30, 2018
Promises from the government to impose civil penalties and pursue criminal sanctions are not veiled threats.
New Jersey Law Journal | Analysis
By Gary S. Young and Frank L. Brunetti | March 30, 2018
The goal is to enable the trustee to defer income taxes on the benefits while coordinating the requirements of the client, the trustee, the plan administrator and the IRS.
By Dara Kam, News Service of Florida | March 30, 2018
After failing to reach consensus on gambling issues during the regular legislative session that ended this month, House and Senate leaders are considering a special session to address a potential agreement with the Seminole Tribe of Florida.
By Ross Todd | March 29, 2018
Short-term rental platform HomeAway.com Inc. has lost out on a bid to overturn an order forcing the company to hand over information about San Francisco…
By Andrew Denney | March 28, 2018
DMX, 47, was convicted of not paying $1.7 million in taxes between 2002 and 2005.
By Mike Scarcella | March 26, 2018
Charles Rettig of California's Hochman Salkin, the Trump administration's nominee for IRS commissioner, reported $1.13M in law firm salary. Rettig's financial disclosure, and a filing from Michael Desmond, the California solo up for IRS chief counsel, reveal a glimpse at their legal services in the tax arena.
Daily Business Review | Commentary
By Jeffrey A. Neiman | March 26, 2018
Few words strike more fear in Americans than IRS audit. But now, a new law arms IRS agents with more ammunition in its pursuit for underreported income and illegal activity as the IRS takes a giant step to embracing and rewarding whistleblowers who provide the IRS with valuable information.
New Jersey Law Journal | Analysis
By Robert J. Alter | March 26, 2018
What are taxpayers with undisclosed foreign financial assets to do, without the OVDP?
The Legal Intelligencer | Commentary
By John A. McCreary Jr. | March 22, 2018
The Tax Cuts and Jobs Act of 2017 inserted a new subsection (q) into Section 162 of the Internal Revenue Code which denies deductions for payments made in settlements of sexual harassment or sexual abuse cases, and “related” attorney fees.
The Legal Intelligencer | Analysis
By Lizzy McLellan | March 21, 2018
One public finance practice leader said deal work was triple the normal amount in the fourth quarter.
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