Lawyers Unhappy With IRS Order to Verify All Tax Certifications
- Federal Tax Liens: A Refresher Course. Weil, Kenneth C. // Journal of Tax Practice & Procedure;Apr/May2014, Vol. 16 Issue 2, p37
The article offers information on the Federal Tax Lien (FTL) of the U.S. Internal Revenue Service (IRS). It states that the lien arises when the IRS makes a notice and notice on the taxpayer who failed to pay within 21 calendar days. It notes that the lien relates back to date of assessment and...
- Bond Lawyers Urge IRS to Disclose Yield-Burning Settlement Terms. Kinnander, Ola // Bond Buyer;12/5/2001, Vol. 338 Issue 31278, p44
Reports on bond lawyers' proposal to the U.S. Internal Revenue Services to publish the terms of global yield-burning settlement in 2000. Advantages of the terms for bond lawyers; Meaning of yield burning deals; Punishment for underwriters not willing to settle yield-burning charges.
- IRS Didn't Follow Up on Undelivered Tax Liens. Cohn, Michael // Accountingtoday.com;10/15/2014, p4
The article discusses the U.S. Treasury Inspector General for Tax Administration's (TIGTFA) reported incidence of non-compliance by the Internal Revenue Service (IRS) to its own internal procedures on undelivered tax lien notices. Topics reported include the section 6320 (a) of the Tax Code on...
- Bond Attorneys Probed. Barnett, Susanna Duff // Bond Buyer;9/16/2003, Vol. 345 Issue 31720, p1
Focuses on efforts of the U.S. Internal Revenue Service to conduct an investigation against the three bond attorneys that allows market participants to provide false statements in bond transactions. Amount of penalty imposed by the agency; Awareness on the identity of the lawyers; Compliance of...
- Lawyers Ponder Fallout of IRS 6700 Probes. Barnett, Susanna Duff // Bond Buyer;9/22/2003, Vol. 345 Issue 31724, p4
Reports on the investigation of the U.S. Internal Revenue Service over false statements in bond transactions made by bond attorneys in Chicago, Illinois. Violation of the Internal Revenue Code Section 6700; Imposition of penalties against promoters of abusive tax shelters.
- NABL to IRS: Get Issuers Not Investors. Hume, Lynn; Kinnander, Ola // Bond Buyer;01/31/2001, Vol. 335 Issue 31067, p1
Reports on a proposal by the National Association of Bond Lawyers that the United States Internal Revenue Service restructure its enforcement program for municipal bonds. Penalties for issuers and conduit borrowers for tax-law violations, rather than innocent bondholders; Group's letter to...
- NABL Lists Concerns for the IRS to Address This Year. Kinnander, Ola // Bond Buyer;03/08/2001, Vol. 335 Issue 31092, p5
Reports that the National Association of Bond Lawyers has submitted a wish list to the United States Internal Revenue Service for regulatory actions. Formulation of the agency's 2001 regulatory priority plan; American Bar Association's tax section.
- NABL Wants New Rules on Solid-Waste Recycling Bonds. Kinnander, Ola // Bond Buyer;03/27/2001, Vol. 335 Issue 31105, p4
Reports on the National Association of Bond Lawyers' call for the United States Internal Revenue Service (IRS) to write new rules on solid-waste recycling bonds. Association's concern that the IRS is cracking down on solid-waste recycling bonds; Association's call for the IRS and the Treasury...
- NABL asks IRS to match tax law penalties with violations. Resnick, Amy B. // Bond Buyer;03/09/99, Vol. 327 Issue 30594, p4
Reports on the National Association of Bond Lawyers' (NABL) call for the United States Internal Revenue Service (IRS) to match the penalty for violating tax laws governing issuance of tax-exempt bonds. Features of comments filed by the NABL on the agency's proposed guidelines for bond issuers'...