Extra Ticket to Tax Court for Whistleblowers
/Can a whistleblower get a second opportunity to appeal the IRS’ determination of award in whistleblower claims?
Read MoreAn informative Blog written by Thomas Pliske and Shine Lin of the Tax Whistleblower Law Firm regarding important issues dealing with the IRS Whistleblower Informant Program.
Can a whistleblower get a second opportunity to appeal the IRS’ determination of award in whistleblower claims?
Read MoreIn this blog we (i) explore the Scope of Review (i.e. Quantity – what the court looks at) and the Standard of Review (i.e. Quality – how the court evaluates) that the Tax Court set in their 2018 Kasper decision and (ii) explore potential statutory changes.
Read MoreThe Tax Whistleblower Law Firm (TWLF) specializes in the preparation of the Form 211 Claims package to report underpaid taxes to the Internal Revenue Service (IRS) under the Tax Whistleblower Reward Program. The TWLF team, anchored by a former IRS attorney, consists of qualified tax attorneys with over 40 combined years of tax-related legal experience. Our services are solely dedicated in the IRS Whistleblower Program and U.S. Tax Court litigation of Tax Whistleblower determinations.
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