Andrew Belter and William Schmidt discuss their experiences with withdrawing from cases in the U.S. Tax Court. Since it is necessary to receive court approval for an attorney to withdraw from a case, both of your hosts provide guidance on how to navigate what is required to be withdraw from a case when your client is no longer cooperating with you.
If all goes right, you should be able to find some sample forms for those withdrawals along with this episode. If not, contact William on LinkedIn.
Plus, Andrew talks about providing CLE information to LITCs to help them meet their match goals.
Episode 61: 2019 KS IRS Tax Practitioner Symposium Pt. 1 (of 3)
Episode 60: Interviewed by Shanna McCormack
Episode 59: Revenue Officer Training
Episode 58.5: Interview with Shanna McCormack
Episode 58: Late Filing
Episode 57: Tax Protesters
Episode 56: Nina Olson and the Taxpayer Advocate Service
Episode 55: Financial Disability
Episode 54: The Taxpayer Advocacy Panel and Tax News
Episode 53: Security Barriers for Practitioners
Episode 52: First Year Retrospective
Episode 51: Taxpayer First Act (HR 3151)
Episode 50: Collection Due Process Panel at ABA May Meeting
Episode 49: Tax Court Settlement Days
Episode 48: Tax Court at the 2019 ABA Section of Taxation May Meeting
Episode 47: IRS Commissioner Rettig at the ABA May Tax Meeting
Episode 46: 2019 ABA Tax Section May Meeting Followup
Episode 45: 2019 ABA Tax Section May Meeting
Episode 44: Liens and Levies, Part Two - Levies
Episode 43: Liens and Levies, Part One - Liens
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