Learn what to expect from an IRS examination and the options for resolving or disputing the examination.
The IRS is one of the most intimidating and overwhelming government agencies for taxpayers and tax professionals. Therefore, it is important that a return preparer and other tax professionals understand how and when to respond to the IRS, whether in a civil examination or a criminal investigation. This material will discuss what to expect from an IRS examination and the options for resolving or disputing an IRS examination by working with the IRS Appeals Division or litigating a tax case in U.S. Tax Court or in refund litigation. We will also discuss how to make a voluntary disclosure to the IRS and the basics of an IRS criminal investigation.
Agenda
Faculty
Joel N. Crouch
Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P.
- Partner at Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P.
- For more than 30 years, has counseled businesses and wealthy families, and individuals about their most demanding tax planning, estate planning, and IRS controversies
- Often works with tax professionals and financial advisors to help develop solutions for their clients
- Board certified in tax law by the Texas Board of Legal Specialization and has been recognized as one of the best in his field by Texas Monthly and Law and Politics Magazines by being named a Texas Super Lawyer from 2003 through 2021
- Named one of the Best Lawyers in Dallas by D Magazine for the year 2012-2021 and he has also been named to Best Lawyers in America for Tax Law
- Recognized as a Top-Rated Lawyer in White Collar Criminal Defense, published in The American Lawyer, Corporate Counsel, and The National Law Journal
- Frequent speaker on both substantive and procedural tax issues for both legal and accounting professionals, topics include tax shelter defense, IRS examinations, appeals, litigation and collection strategies, IRS criminal investigations, IRS offshore activities, IRS focus on tax professionals, employment classification, IRS penalties, and litigating partnership tax cases
- Published various articles regarding the IRS and tax procedures
- Can be contacted at [email protected] or 214-749-2456
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