A 2017 case is a stark $300,000 reminder that the IRS is not bound by statements made by its employees, such as Revenue Officers Tommy Weder was a responsible officer of a corporation which failed to pay its payroll taxes, and as a result, he was assessed a trust fund recovery penalty (TFRP) pursuant to IRC Section 6672. As a boutique law firm consisting of lawyers with over 100 years of experience, Givner & Kaye can not only save you income taxes, but can also help you put in place sophisticated estate plans, estate tax plans, asset protection plans, post-mortem plans, and more that will ensure your hard-earned assets stay with you and your family rather than finding their way into the hands of the government or future frivolous plaintiffs.
Watch the client and professional testimonials on Givner & Kaye to see how our experienced tax attorneys , estate planning lawyers and asset protection professionals can help you save money on taxes, make more money and gain peace of mind over all estate planning, tax planning, tax litigation and asset protection matters.
In the thick of South by Southwest, Alex Jones is scheduled to be deposed for four hours next Thursday at a downtown law office by attorneys for a Sandy Hook parent suing him for intentional infliction of emotional distress for years of characterizing the 2012 Connecticut school shooting as a hoax.
I had tax balances for years going back to 2008, I had to take care of other things in my life and I just never got around to it. Having Victory Tax Lawyers represent the case made it much easier by handling basically every aspect of my case from start to finish without needing me for much, which left me free to take care of all the other things in my life.
Under investigation for giving false financial disclosures to an IRS tax collection employee, after recently released from federal prison for tax fraud, this client's case needed serious attention, but Joseph was successul in his argument for the client.
Born in Los Angeles, California, January 24, 1960; Admitted to Bar, California - 1984; Admitted to United States Tax Court - 1989 and United States Tax Debt Relief Los Angeles District Court, Central District - 1992; Passed CPA exam and obtained CPA certificate from the State of Maryland in 1980, current status- inactive.
Main office in Irvine, California, The Law Offices of David C. Dodge provides experienced aggressive federal tax matters representation throughout the United States, and California tax matters representation throughout California, including Orange County, Los Angeles County, San Diego County, San Bernardino County, Riverside County, and in the cities of Los Angeles, Anaheim, Brea, Buena Park, Costa Mesa, Coto de Caza, Dana Point, Fountain Valley, Fullerton, Garden Grove, Huntington Beach, Irvine, Laguna Beach, Laguna Niguel, Mission Viejo, Newport Beach, Newport Coast, Orange, Placentia, San Clemente, Santa Ana, Tustin, Westminster, Yorba Linda.
The firm is seeking to add star-level partners across the United States and other countries with specialties related to international law (cross-border business transactions, taxation, litigation and arbitration, immigration, trade and customs and other).
Starting in 2008 the IRS began stepped up enforcement of the long standing requirement that U.S. citizens, green-card holders, and other U.S. Persons” report their foreign bank and securities accounts on a Foreign Bank Account Report (FBAR) aka FInCEN Form 114 (formerly known Form TDF 90-22.1. U.S. Persons with signatory authority over, or an interest in offshore bank accounts, are required to file no later than April 15th, although that time has been extended by the IRS to October 15th.