About this episode
In this episode, firm lawyers Joel Crouch and Naveid Jahansouz delve into key recent developments in the tax landscape. They discuss noteworthy IRS procedural changes, including the revised penalty assessments for late-filed foreign gift forms, offering taxpayers more leniency with reasonable cause statements. They explore significant court cases like Ruby Tang v. Commissioner, where an IRS employee's unusual tax deductions led to a public trial, and Beyoncé Knowles-Carter v. Commissioner, which reveals that even celebrities aren't immune to tax disputes. The hosts also cover the IRS’s recent focus on pass-through entities and complex partnership audits, as well as the rising importance of compliance with the Corporate Transparency Act and evolving crypto regulations. This episode is packed with insider knowledge and practical insights, valuable for tax professionals and anyone keen to understand the latest in tax enforcement and policy changes.
Sign up to receive the latest podcast episodes in your inbox!
Thank you for subscribing!
Have a great day!