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December 23, 2024

IRS Commissioner Announces ERC Claim Processing Around the Corner: What Else Did We Learn?... [ read ]

Each year, I enjoy participating in the ABA Tax Section's Criminal Tax Fraud and Tax Controversy Conference in Las Vegas. This year, I had the privilege of hearing what sounded like it could be a monumental announcement by the IRS Commissioner, Danny Werfel. As mentioned by Anthony Daddino here, Werfel announced that the IRS had plans to process around 500,000 ERC claims by the end of 2024. The total value of those claims, per Werfel, is around $10 billion. In addition, Werfel announced that another 500,000 – 600,000 claims were "teed up" for approval next year.

December 16, 2025

Holiday Cash in the Form of ERC... [ read ]

Just in time for the holidays, the IRS just announced plans to approve 500,000 ERC claims in the coming weeks with more to come in 2025.

December 13, 2024

Hardly Anybody Trusts Attorneys, and Certainly Not the IRS... [ read ]

A December 2023 Gallup poll revealed that only 16% of Americans rate lawyers' honesty and ethical standards as "high." Perhaps the IRS was among those polled, as the IRS has announced an examination campaign against law firms.

December 10, 2024

IRS Dirty Dozen List-Let's Be Careful Out There... [ read ]

I speak at a number of events during the year regarding tax issues, primarily regarding IRS enforcement and mostly related to income tax or estate and gift tax issues. Many of my presentations reference the IRS Dirty Dozen list, which we annually blog about, along with other transactions highlighted by the IRS. I have joked that these days you can't throw a rock without hitting someone marketing the next tax savings transaction on the internet, including videos on YouTube.

December 5, 2024

Taxpayers Win But the Court Denies Their Request for Attorney Fees and Costs... [ read ]

In a recent blog post I discussed a case where a taxpayer was in a dispute with the IRS, made a qualified settlement offer of $1 to the IRS, won the case and collected attorney fees and costs from the IRS under IRC Section 7430. In a more recent case, the taxpayers did not make a qualified settlement offer, won their case and were denied attorney fees and costs.

November 19, 2024

Private Aircraft Audits May Be At Cruising Altitude... [ read ]

Earlier this year, the IRS announced that it would be increasing the audit rate on private aircraft. The IRS previewed that there would be dozens of private aircraft audits starting in the near future. Given what we have seen, the "dozens" figure appears low.

November 13, 2024

Collecting Attorney's Fees and Expenses From the IRS... [ read ]

We previously discussed making a qualified settlement offer pursuant to I.R.C. Section 7430 to put pressure on the IRS and potentially collect attorneys' fees and costs. How much does that offer need to be? In Mann Construction Inc. v. United States, (E.D. Mich. 1/1/24), a district court said the offer can be as little as $1 for a prevailing taxpayer to collect attorneys' fees and expenses.

October 25, 2024

IRS Abandons Automatic Assessment of Foreign Gift Penalties... [ read ]

The IRS has renounced its membership to the Green Day band fan club and finally restored due process in its procedures for assessing foreign gift tax return penalties. IRS Commissioner Danny Werfel publicly announced yesterday that the IRS will no longer automatically impose penalties for late-filed forms related to foreign gifts.

October 23, 2024

Cryptocurrency Staking Clarity on the Horizon? If At First You Don't Succeed…... [ read ]

In February 2022, I wrote about the cryptocurrency staking case, Jarrett v. United States. At issue in Jarrett was whether particular cryptocurrency tokens (Tezos) created through staking should be considered taxable income. The taxpayers said the newly-created tokens were not taxable income, but the government took the opposite view

October 23, 2024

IRS Launches New Exam Unit Dedicated to Increasing Audits of Pass-Through Entities... [ read ]

I always enjoy life-imitating-art moments, especially when a 1970s Saturday morning cartoon is involved. Yesterday the IRS launched a new initiative: A Wonder-Twin-esque collaboration between small and large business divisions of IRS Exam specifically devoted to ensuring compliance of pass-throughs of every size and form—including partnerships, S-corporations and trusts. Unlike the Wonder Twins, the IRS' goal is not an octopus riding an ice unicycle, but rather, "to reverse historically low audit rates" for pass-through entities.

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