Gain a better understanding of how to substantially reduce IRS tax penalties.
There are dozens of different penalties the IRS can assert against taxpayers. The defenses to such penalties are just as varied and often ill-defined in current guidance. Practitioners are often unaware of exactly how and when to challenge various IRS penalties. This topic will help tax practitioners understand the mechanics of various penalties and how best to defend taxpayers against IRS penalties. The material explains what defenses are applicable to certain penalties, how and when to assert such defenses, and methods for negotiating a reduction in penalties at various procedural stages. IRS penalty reduction/abatement has been decreasing steadily for the past decade - practitioners must therefore execute defenses to IRS penalties with precision to be successful. This material is critical for practitioners who represent taxpayers at all stages of tax controversy, from the initial examination stages all the way through final adjudication.
Agenda
Faculty
Logan Chaney Abernathy
Dentons Sirote
- Associate in Dentons Sirote’s Huntsville, Alabama office and is a member of the tax practice group
- Practice focuses on tax controversy, tax litigation, and government investigations
- Has clerked for the United States Attorney’s Office for the Western District of Tennessee, the Jackson County (Alabama) District Attorney’s Office, and United States District Judge L. Scott Coogler in Tuscaloosa, Alabama
- While attending law school, she served as Editor in Chief of the Law and Psychology Review and as the Chief Operating Officer for Raise the Bar, a student-run mentoring program affiliated with the University of Alabama School of Law and Eastwood Middle School
- J.D. degree, magna cum laude, University of Alabama School of Law; B.A. degree in criminology, summa cum laude, Mississippi State University
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