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 41: The Taxpayer First Act Revisited
Episode 40: Tax Notices and Other Issues
Episode 39: Collection Due Process
Episode 38: The LITC Grant Report
Episode 37: Kansas Practitioner Liaison Meeting
Episode 36: A Tribute to Nina Olson
Episode 35: Interview with Andrew Belter (Part 2 of 2)
Episode 34: An Interview with Andrew Belter (Part 1 of 2)
Episode 33: The National Taxpayer Advocate's Annual Report to Congress
Episode 32: The Government Shutdown and the IRS Brain Drain
Episode 31: The Government Shutdown’s Effect on Tax Court Deadlines
Episode 30: State Income Tax and Shutdown Updates
Episode 29: More Tax News During the Government Shutdown
Episode 28: The Government Shutdown and the Tax Season
Episode 27: The Government Shutdown and the IRS
Episode 26: End of Year Tax Thoughts
Episode 25: LITC Success Stories
Episode 24: LITC Conference Followup
Episode 23: Omeed Firouzi Interview
Episode 22: The Low Income Taxpayer Clinic Grantee Conference
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