Andrew Belter and William Schmidt have a discussion on two items regarding client deadlines in taxes.
-What to do when a client shows up with a short deadline for the IRS or Tax Court? This might put an attorney in a bind regarding the work to do in a short amount of time. Entering an appearance in court is easy for an attorney to do, but requires the judge’s approval to for the attorney to withdraw from the case. In other instances, there may be a scramble to file paperwork to the IRS. What are some considerations necessary to trust the client?
-Also, there is the issue of premature assessments. The U.S. Tax Court is backed up on processing petitions they have received. In the meantime, the IRS has not received notices that those petitions were filed. Their Collections department may then believe there is no petition and incorrectly send out a notice regarding the deficiency. To address this issue, there is an email address to contact and provide your case number in the situation: taxcourt.petitioner.premature.assessment@irs.gov
Here is the recent press release from the Tax Court on premature assessments: 08162021.pdf (ustaxcourt.gov)
Episode 199 - Interview with Howard University School of Law Professor Alice M. Thomas
Episode 198 - Interview with Temple Law Student Randy Goldson
Episode 197 - Interview with Temple Law Student Hyo Jin Lee
Episode 196 - Interview with Mary Ann David, Senior Attorney at Legal Services of Greater Miami
Episode 195 - Interview with Shahin Rahimi, Senior Attorney at Legal Aid Society of San Diego
Episode 194 - Interview with Cal Poly Low Income Taxpayer Clinic Director and Professor Lisa Sperow
Episode 193 - Interview with Syracuse Law Professor Robert G. Nassau
Episode 192 - Giving Thanks
Episode 191 - One Year of the Inflation Reduction Act
Episode 190 - Running the Temple Law Low Income Taxpayer Clinic!
Episode 189 - How to Challenge Worker Misclassification
Episode 188 - Review of ABA Tax Section May 2023 Meeting and Interviews with Leslie Book and Mandi Matlock
Episode 187 - Reflections on the 2023 Tax Filing Season
Episode 186 - Interview with Professor Keith Fogg
Episode 185 - Interview with Former National Taxpayer Advocate Nina Olson abd ABA Christine A. Brunswick Fellow Anna Gooch
Episode 184 - Interview with National Taxpayer Advocate Erin Collins
Farewell - IRS Office of Chief Counsel
Episode 182: The Broader Discussion of IRS Funding
Episode 181: KC Current Events and IRS Funding
Episode180: Workload Balancing
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