Stay updated on critical tax and ethics issues, including IRS changes, Supreme Court rulings, and strategies for high-net-worth client representation.
Many practitioners recognize that the IRS and various state taxing authorities view the administrative regulations as mandatory and binding. However, recent court cases, including the Supreme Court's decision in Loper Bright et al., has changed the landscape. Further, with the increase in IRS funding and expected increase in high net worth audits, representing clients that have high net worths has become a more significant and more challenging process.
This program includes a discussion of timely tax and ethics issues that the tax practitioner needs to be made aware of. An update on 'hot' IRS practice, procedure and ethics issues, including the impact of the U.S. Supreme Court's decision in Loper Bright; and ethical and practical blunders and mistakes practitioners should avoid.
Agenda
Faculty
![Michael G. Goller](http://s3.amazonaws.com/les.speakerimg/2148846.jpg)
Michael G. Goller
Reinhart Boerner Van Deuren S.C.
- Shareholder in Reinhart’s Corporate and Tax Department and served as the Tax Department Chair for over 10 years
- Over 30 years of experience with practice focusing on tax controversy, tax litigation, and tax planning
- Represents clients involved in complex disputes with the IRS, the U.S. Department of Justice and various other authorities and has an impressive track record of favorable settlements Writer and speaker on a variety of tax controversy, litigation, and planning topics
- Faculty member at the University of Wisconsin-Milwaukee’s Lubar School of Business and teaches Tax Practice and Procedure in the Graduate Tax Program
- Named ‘Lawyer of the Year,’ Best Lawyers’ 2014 Milwaukee Litigation & Controversy Law-Tax, Best Lawyers in America, and selected for inclusion in Wisconsin Super Lawyers
- J.D. Degree, cum laude, Marquette University Law School; B.S. Degree in accounting, Marquette University
- Can be contacted at [email protected] or 414-298-8336
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