The USTC has affirmed it will adhere to its decision that the IRS lacks authority to assess Section 6038(b) penalties in cases falling under other circuits of the U.S. Courts of Appeals.
IRS Authority to Assess Certain Foreign Information Return Penalties Restored by D.C. Circuit | Holland & Knight LLP jdsupra.com - get the latest breaking news, showbiz & celebrity photos, sport news & rumours, viral videos and top stories from jdsupra.com Daily Mail and Mail on Sunday newspapers.
In the blogs: Back to the grind accountingtoday.com - get the latest breaking news, showbiz & celebrity photos, sport news & rumours, viral videos and top stories from accountingtoday.com Daily Mail and Mail on Sunday newspapers.