Read the latest insights and updates on tax news from K. Tyson Law.
Take Accountability, Implement Procedural Safeguards, and Read (and Follow) the Rules On May 18, 2026, Kenneth Salinger, Justice of the Superior Court of the Commonwealth of…
The Fourth Circuit holds that the plain language of the innocent spouse statute (IRC Β§ 6015(f)(1)) means that underpayment interest the IRS erroneously refunded is a…
How a “Gift Letter” (Contemporaneous Written Acknowledgment or CWA) Failed the Strict Substantiation Requirements in the Tax Code May 15, 2026 β This week, the Tax…
Is the Fourth Time a Charm? The IRS is now offering a fourth settlement initiative for eligible taxpayers involved in syndicated conservation easement disputes. This offer,…
K. Tyson Law is excited to announce that Karin Gross was elected as a Fellow of the American College of Tax Counsel (ACTC) at the meeting…
May 11, 2026 β The IRS can reduce taxes, interest, and penalties (civil or criminal) through an offer-in-compromise (i.e., an βOICβ). An OIC is an offer…
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