IRS Must Refund Penalties Despite Tax Malpractice Recovery

In Ervin v. United States, No. 4:13-CV-00127-JHM (W.D. Ky. 2017), the court considered whether the government can withhold or set off a penalty refund owing to a taxpayer if the taxpayer has already recovered the amount in excess of the penalty from its tax advisor for malpractice. While the case does not create any new […] The post IRS Must Refund Penalties Despite Tax Malpractice Recovery appeared first on Houston Tax Attorney.
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