Taxpayer Not Entitled to Attorneys Fees Despite Prevailing In Lawsuit

Failing Business Triggers Trust Fund Penalties

The government makes mistakes. It is not perfect. The United States v. Appelbaum, No. 5:12-CV-186 (W.D.N.C. 2016) , case provides an example. In Appelbaum, the government sued the taxpayer for nearly $4 million that the taxpayer did not owe. The question before the court was whether the taxpayer could recover attorneys fees he incurred in… Continue reading Taxpayer Not Entitled to Attorneys Fees Despite Prevailing In Lawsuit

6 Tips for Avoiding the Trust Fund Recovery Penalty

If you are running a business and it is not withholding or remitting payroll taxes to the IRS, you should be aware of the trust fund recovery penalty.  This penalty can make the business’ payroll taxes your personal tax problem.  The IRS is able to assess the penalty against you individually.  That means that the IRS can go after your personal assets to satisfy the liability.  The dollar amount for trust fund recovery penalties are typically quite large.  The penalty is equal to the amount of

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Failing Business Triggers Trust Fund Penalties

Failing Business Triggers Trust Fund Penalties

Taxes are often neglected when a business is having financial difficulties. This can have serious repercussions for the business and the individuals who are responsible for having taxes withheld and remitted to the IRS. The IRS has the ability to assess trust fund recovery penalties against these individuals, which essentially makes the business tax liability… Continue reading Failing Business Triggers Trust Fund Penalties

Choosing Not to Comply With an IRS Summons

Seismic Surveyor Entitled To G&g Expense Deductions

The law requires taxpayers to keep certain records. The IRS expects taxpayers to produce these records on request. The IRS has the power to issue an administrative summons if the taxpayer does not cooperate. This begs the question as to what happens if the taxpayer chooses not to comply with an IRS summons? The United… Continue reading Choosing Not to Comply With an IRS Summons

Seismic Surveyor Entitled to G&G Expense Deductions

In CGG Americas, Inc. v. Commissioner, 147 T.C. 2, the U.S. Tax Court concluded that a seismic surveyor is entitled to geological and geophysical (G&G) expenses deductions even though they merely gathered data for license to third parties and did not engage in exploration or development work. The facts and procedural history of the case […]

The post Seismic Surveyor Entitled to G&G Expense Deductions appeared first on Houston Tax Attorney: Texas Lawyer.

Seismic Surveyor Entitled to G&G Expense Deductions

Seismic Surveyor Entitled To G&g Expense Deductions

In CGG Americas, Inc. v. Commissioner, 147 T.C. 2, the U.S. Tax Court concluded that a seismic surveyor is entitled to geological and geophysical (G&G) expenses deductions even though they merely gathered data for license to third parties and did not engage in exploration or development work. Facts & Procedural History The taxpayer was in… Continue reading Seismic Surveyor Entitled to G&G Expense Deductions

Transferee Liable for $13 Million in Pre-Judgment Interest

There are times when our tax laws draw distinctions that can seem unfair. The Tricarichi v. Commissioner, T.C. Memo. 2016-132, highlights one of these situations. Tricarichi is a transferee liability case in which the taxpayer was held liable for $13 million in interest on a tax liability owed by a third party even though the […]

The post Transferee Liable for $13 Million in Pre-Judgment Interest appeared first on Houston Tax Attorney: Texas Lawyer.

Transferee Liable for $13 Million in Pre-Judgment Interest

Irs Allowed Interest For Unpaid Taxes Despite Waiver

There are times when our tax laws draw distinctions that can seem unfair. The Tricarichi v. Commissioner, T.C. Memo. 2016-132, highlights one of these situations. Tricarichi is a transferee liability case in which the taxpayer was held liable for $13 million in interest on a tax liability owed by a third party even though the… Continue reading Transferee Liable for $13 Million in Pre-Judgment Interest