If you have questions about IRS or state tax debts, tax liens, or experiencing forced collection actions, please contact former IRS attorneys of Holtz, Slavett & Drabkin for further assistance.
Igor Drabkin is Named as SuperLawyer in Tax Law for the Eighth Year
The government shutdown has had a significant impact on the tax administration, including important IRS functions and U.S. Tax Court’s operations.
The United States Tax Court recently announced the adoption of certain amendments to its Rules of Practice and Procedure in several areas that impact taxpayers and practitioners with new or pending cases before the Tax Court.
On November 20, 2018, the IRS issued a Memorandum, describing the process for all voluntary disclosures following the closing of the 2014 OVDP on September 28, 2018. The new procedures are effective for all disclosures after September 28, 2018. Under the new procedures, the taxpayers with hidden foreign bank accounts, whose behavior may be considered willful, will find stricter requirements and higher penalties.