Recent Tax Court Case Reveals Rare Use of For 5471 Penalty Defenses
U.S. taxpayers living, investing or doing business abroad often form corporations in the local country for legitimate reasons. The problem is not establishing the corporations, but rather maintaining full compliance with the IRS thereafter. This article explains Form 5471 filing duties, stringent standards applied by the IRS and courts, obscure manners in which Form 5471 violations extend assessment-periods, places where taxpayers can and cannot dispute penalties, and a recent Tax Court case, Kelly v. Commissioner, which features several of the key issues.
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About Hale E. Sheppard
HALE E. SHEPPARD, Esq. (B.S., M.A., J.D., LL.M., LL.M.T.) is a Shareholder in the Tax Controversy Section of Chamberlain Hrdlicka and Chair of the International Tax Group.
About Hale E. Sheppard
HALE E. SHEPPARD, Esq. (B.S., M.A., J.D., LL.M., LL.M.T.) is a Shareholder in the Tax Controversy Section of Chamberlain Hrdlicka and Chair of the International Tax Group.