About this episode
In this episode, Joel Crouch and Matt Roberts take a deep dive into several recent tax cases shaping today's tax controversy landscape. They begin with Patel, a precedential Tax Court decision addressing captive insurance transactions and the application of accuracy-related penalties for lack of economic substance, including what constitutes adequate disclosure and why the absence of a reasonable cause defense can be so consequential. Joel and Matt then turn to a series of jurisdictional cases following Boechler, examining whether statutory filing deadlines in Tax Court are truly jurisdictional or subject to equitable tolling and what recent circuit court decisions mean for taxpayers who miss those deadlines. The discussion also covers partnership audit timing issues under the former TEFRA regime, as well as emerging Seventh Amendment challenges to civil tax penalties in the wake of recent Supreme Court precedent. This episode offers practical insights into audit strategy, penalty defense, and procedural pitfalls.
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