|
An IRS examination or audit can disrupt your business operations and, if not handled properly and controlled, can materially affect your relationships with third parties and shareholders, and ultimately your bottom line and share price. A taxpayer involved in an international tax controversy can face special challenges and opportunities, such as issues relating to foreign-based documents, the IRS’s international summons and collection authority, and invocation of the Competent Authority relief procedures. Clients call upon Caplin & Drysdale for our broad knowledge of the tax controversy process and our superior relationships with the IRS and foreign tax authorities. Call us for assistance in:
|
|