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.
Evidence Demystified Part 2 covers key concepts in the law of evidence, focusing on witnesses, credi...
United States patent law and the United States Patent and Trademark Office’s patent-related gu...
Contracting with the Federal Government is not like a business deal between two companies or a contr...
In high-stakes, high-pressure environments like the legal field, even the most accomplished professi...
The CLE will cover the Ins and Outs of Internal Corporate Investigations, including: Back...
This program examines critical 2025-2026 developments in patent eligibility for software and AI inve...
This program will address the ethical obligations of Lawyer Advocates representing clients in arbitr...
This CLE session introduces attorneys to budgeting and forecasting concepts used in corporate planni...
The direct examination presentation outlines how attorneys can elicit truthful, credible testimony w...
Part 2 - This program will continue the discussion from Part 1 focusing specifically on cross?examin...