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 120: IRS Litigation
Episode 119: Appeals
Episode 118: Collections
Episode 117: IRS Examination
Episode 116: Tax Return Processing
Episode 115: Tax Preparation
Episode 114: IRS Virtual Settlement Days
Episode 113: Tax Podcasts
Episode 112: Interview With Bobby French
Episode 111: The Reliability of IRS FAQs
Episode 110: EIP Payment Issue Update
Episode 109: Tax Procedure Course Wrapup
Episode 108: Ethical Issues in Taxes
Episode 107: Persuasive Writing
Episode 106: Tax Court - A Focus on Litigation
Episode 105: Tax Court During Covid
Episode 104: Introduction to Tax Court
Episode 103: The New Normal for Taxes
Episode 102: Interview With William Chun
Episode 101: Interview With Paul Harrison
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