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.
In the rapidly evolving landscape of employment law, arbitration agreements have become a cornerston...
This program examines listening as an active, strategic trial advocacy skill rather than a passive c...
Recent court opinions, a lawsuit against OpenAI Foundation and OpenAI Group PBC aka ChatGPT for the ...
The landscape of global finance is undergoing a seismic shift as traditional assets migrate to the b...
Most legal professionals are operating in survival mode whether they realize it or not. Not crisis-l...
The filing of multiple RICO complaints in federal courts in New York State against plaintiffs’...
In high-stakes, high-pressure environments like the legal field, even the most accomplished professi...
Explore the transformative potential of generative AI in modern litigation. “Generative AI for...
Loneliness isn’t just a personal issue; it’s a silent epidemic in the legal profession t...
Large World Models (LWMs)— the next generation of AI systems capable of generating...