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.
Philip A. Greenberg, Esq., who has been a litigator in the State and Federal Com1s for 52 years, has...
My contract was terminated and the contracting officer did not pay my invoices – what can I do...
ChatGPT is rapidly entering law firm workflows, including drafting, summarizing, brainstorming, lega...
For most new attorneys, learning how to frame an oral argument can be a daunting task. L...
State attorneys general continue to play a central and increasingly aggressive role in consumer prot...
Many law firms now rely on AI?driven research, drafting, and workflow tools without fully understand...
Between 1986 and now, the U.S. Government collected approximately $85 billion from Federal Contracto...
This program provides a comprehensive and practice-oriented framework for integrating criminal mitig...
This program provides immigration attorneys with an in-depth understanding of competency issues in r...
Join us for Part 2 of a program tailored for attorneys seeking a better understanding of the ongoing...