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.
MODERATED- I’m ok. I can work this out for myself. I’m not like a “real” ...
MODERATED-Session 7 of 10 - Mr. Kornblum, a highly experienced trial and litigation lawyer for over ...
Evidence Demystified Part 1 introduces core evidentiary principles, including relevance, admissibili...
Bias and discrimination continue to shape workplace dynamics, legal practice, and professional respo...
MODERATED-Session 6 of 10 - Mr. Kornblum, a highly experienced trial and litigation lawyer for over ...
MODERATED-This course is designed to inform patent practitioners on the bounds of the Hatch-Waxman S...
This course provides attorneys with a detailed examination of Form 1120S, including legal considerat...
MODERATED-Session 5 of 10 - Mr. Kornblum, a highly experienced trial and litigation lawyer for over ...
MODERATED-Session 3 of 10 - Mr. Kornblum, a highly experienced trial and litigation lawyer for over ...
This course introduces attorneys to the core principles of GAAP and the legal significance of standa...