Newstral
Alon Farhy
- IRS Authority to Assess Certain Foreign Information Return Penalties Restored by D.C. Circuitjdsupra.com
- D.C. Court of Appeals Strengthens IRS’ Ability to Collect Penalties for Not Reporting Foreign Company Ownershipjdsupra.com
- IRS Suffers Another Defeat Related To Civil Penalties In Tax CourtForbes
- Tax Breaks: Income And Deductions Don’t Always Fit Nicely On Your Tax ReturnForbes
- Springtime For Farhy: What Is (and Isn’t) An Assessable Tax PenaltyForbes
- Taxpayer Scores: Farhy Blocks International Reporting PenaltiesForbes
- IRS Has No Statutory Authority to Assess Penalties for IRS Form 5471jdsupra.com
- Tax Court: IRS Lacks Authority to Assess Certain Foreign Information Return Penaltiesjdsupra.com
- Playing Battleship with the IRS: Assessing the Damagesjdsupra.com
- Tax Court Rules That the IRS Cannot Assess or Collect Certain Tax Penaltiesjdsupra.com
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