This volume provides forms and detailed explanations to guide the practitioner in drafting pleadings and commonly encountered motions in Tax Court cases and tax refund suits. Procedural rules and decisions in tax refund litigation in all forums are cited and explained in the work.
Litigation of Federal Civil Tax Controversies
Professors and students will benefit from: A new perspective on how to present the tax system to students A bird’s eye view of the tax system while drilling deep into essential topics A standalone resource—all necessary statutes and ...
This book is designed for a clinical program or pro bono program that assists low income taxpayers with federal income tax controversies. It draws from four main areas: lawyering skills...
Note: Purchasers of Effectively Representing Your Client Before the IRS will already have this book's content and its initial supplemental materials but not access to future updates on the website.
344 E.g., Wolman v. Commissioner, 64T.C. 883, 889 (1976). I.R.C. § 6512(b); Huntington Nat'l Bank, 13 T.C. 760, 774 (1949). 345 I.R.C. § 6512(b); Huntington Nat'l Bank, 13 T.C. 760, 774 (1949). L. CASEY, supra note 341; GARBIS & FROME, ...
This is the only casebook currently available for law courses on professional responsibility in tax practice.
The major change is that this edition will be updated into 2011. There have been several major cases in the tax procedure area and those cases will be in this edition. In addition, the section on collection due process has been expanded.
Federal Income Tax Litigation in Canada