News
The IRS’ ability to assess penalties without giving a taxpayer the chance to first contest them in court should be curtailed in another circuit, a taxpayer said.
The IRS has published a private letter ruling on IRC §1362(f), concluding that the taxpayer’s S corporation election termination on a specified date is treated as an inadvertent termination. The ...
Some results have been hidden because they may be inaccessible to you
Show inaccessible results