The IRS has been aggressively assessing penalties for late-filed foreign information returns against taxpayer, many of whom have voluntarily attempted to correct past non-compliance.
This program discusses the basic filing requirements for foreign information returns and the penalties that the IRS most commonly assesses, the reasonable cause defense to these penalties, and the procedures to challenging the assessments.
This program examines the purchase and sale of a business. As the end game of any transaction is the...
The CLE will discuss the role of New York Labor Law Section 201-d in regulating employee conduct ins...
Everyday, lawyers have to navigate conflicts of interest to determine when they can take on a new re...
The National Labor Relations Act (NLRA) provides rights and protections to almost all of the private...
Join Attorneys Cynthia Sharp and Rebecca Howlett in this cutting-edge CLE course on implementing Art...
In Diaz v. United States, 144 S.Ct. 1727 (2024), a divided court held that expert testimony in a cri...
This CLE will cover the critical ethics issues involving multijurisdictional practice and avoiding t...
Employment litigation often rises or falls on the question of what the employer did to prevent and r...
One of the hottest workplace-related buzz words in 2023 was “RIF” (reduction in force). ...
Part 1 of 2 - In this presentation, I will discuss strategies for cross-examining expert witnesses. ...