https://vimeo.com/368882218
https://www.currentfederaltaxdevelopments.com/podcasts/2019/10/26/2018-10-28
This week we look at:
- California rules on tax issues for directors that have meeting in California
- Chief Counsel’s office gives guidance on use of secured email exchanges
- §280E found not to represent an excessive fine even if the Tax Court doesn’t completely agree on why
- Interim guidance issued to Appeals employees on BBA partnership regime
- Whistleblower cannot force IRS to reopen an audit that he claimed was woefully inadequate