New IRS practice unit: “Substantial compliance” doctrine, international information return penalties
The IRS Large Business and International (LB&I) division last week publicly released a “practice unit” that addresses what the term “substantially complete” means with reference to international information return penalties, particularly Form 5471. The IRS recently released a new International Practice
U.S. Taxpayers at New Risk of Audit from OVDP Declines and Withdrawals Campaign
Last year, the US Treasury Inspector General for Tax Administration (TIGTA) released a report which assessed how well that IRS was managing the Offshore Voluntary Disclosure Program (OVDP). OVDP is one of the programs taxpayers may use to become compliant
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- NJCPA Seminar “The Corporate Transparency Act: What You Need To Know” April 22, 2024
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- Questionable ERC could mean trouble for CPAs March 29, 2024
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- Is First-Time Abatement Applicable In International Penalty Cases? January 26, 2024
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